Thomas v. United States
Opinion of the Court
delivered the opinion of the court:
Except as to a small difference between the amount taxed, to plaintiff on account of the rebates paid by the Continental Can Company and received by plaintiff and the amounts-credited to his personal account on the books of the Thomas. Canning Company and received by him during the years 1918 and 1919, the question is whether the rebates paid by the Continental Can Company and credited to and received by plaintiff in the years 1918 and 1919, in the respective amounts of $20,819.36 and $2,622.91, constituted taxable income to him.
From the facts it appears that plaintiff, who was the president and the treasurer of the Thomas Canning Company, a corporation, and owned all its capital stock, negotiated and made certain contracts with the Continental Can.
The Continental Can Company, pursuant to its agreement in a letter written to the Thomas Canning Company March 1, 1915, allowed and paid certain rebates on cans shipped to .and paid for by the Thomas Canning Company under the contract of the same date. The rebate checks were drawn by the Continental Can Company in the name of the Thomas ■Canning Company. Upon receipt of these checks the amounts thereof were, at the direction of plaintiff, credited to his personal account on the books of the Thomas Canning Company. The Continental Can Company carried no account with the plaintiff personally.
The second contract with the Continental Can Company which was negotiated and executed by plaintiff in the name of the Thomas Canning Company did not specifically provide for payment by the Continental Can Company of any rebates on purchases thereunder by the Thomas Canning ■Company, but the Continental Can Company continued after .March 1,1918, and until 1920, to send to the Thomas Canning Company rebate checks, as had been done under the previous contract. These rebate checks were drawn in the name of the Thomas Canning Company but upon their receipt the amounts thereof were, at the direction of plaintiff, credited to his personal account on the books of the Thomas Canning ■Company. The amounts so received and credited were $20,-•819.36 during 1918 and $2,622.97 during 1919. The record •does not show why these rebates were credited to plaintiff’s personal account and thereby made subject to his personal ■demand and use without further corporate action, other than that plaintiff directed that this be done. There was no corporate action which indicated that these amounts belonged to or were claimed by the Thomas Canning Company .as its funds or that they were being credited to plaintiff’s -personal account as dividends.
Counsel for plaintiff contend that the corporate identity of the Thomas Canning Company may not be ignored, and that if these rebates for 1918 and 1919 were subject to be taxed they were taxable to the corporation and not to the plaintiff. This contention is without force under the facts •disclosed by the record. Plaintiff was the sole owner of the corporation and there is no evidence that the corporation ever regarded or claimed the amounts of the rebates as its property. The fact that the rebate checks were drawn by the Continental Can Company in the name of the Thomas •Canning Company in accordance with the arrangement
In determining the additional tax herein sought to be-recovered, the Commissioner increased plaintiff’s income for 1918 in the amount of $23,147.83 and for 1919 in the amount, of $3,693.72 on account of rebates paid by the Continental; Can Company. It appears, therefore, that the Commissioner overstated plaintiff’s income for 1918 in the amount of $2,328.47 and for 1919 in the amount of $1,070.75. Plaintiff is entitled to recover whatever overpayments may result from the exclusion of the last-mentioned amounts from his-taxable income for 1918 and 1919, respectively.
Judgment for such overpayments will be entered upon the-filing by the parties of a computation showing the exact amount of such overpayments. It is so ordered.
Case-law data current through December 31, 2025. Source: CourtListener bulk data.