Legal Opinion

Smith's Heating, Inc. v. Commissioner

United States Tax Court

Decided June 29, 1955No. Docket No. 25647PublishedCited by 1 opinion

Sec. 722 (c), 1939 Code. -- Petitioner failed to establish a fair and just amount representing normal earnings if petitioner had been in business during the base period years; relief denied.

1Opinion of the Court

OPINION.

HaRROn, Judge:

The petitioner was not an acquiring corporation within the meaning of section 740. It was not in existence prior to January 1, 1940; therefore, it was not entitled to an excess profits credit under section 713 of the 1939 Code computed on average base period net income.

The Commissioner allowed an excess profits credit based on total invested capital under section 714 in the amount of $365.20. Petitioner’s total invested capital, for the purpose of the credit, amounted to $4,564.99, which represents paid-in capital of $200, and earned surplus of $4,364.99. The credit was…

2Cases cited2 opinions

  1. Harry Lang Mfg. Co. v. CommissionerUnited States Tax Court · 1952
  2. Transit Buses, Inc. v. CommissionerUnited States Tax Court · 1953

3Cited by1 opinion

  1. Smith's Heating, Inc. v. CommissionerUnited States Tax Court · 1955

Showing a preview — retrieve the full document via the Exa API.

Powered by the Exa API