128 F.2d 967 | 5th Cir. | 1942
This is a test case to determine the effect on the income taxes of stockholders of a national bank, produced by a recapitalization in the tax year 1937. The American National Bank of Pensacola, Florida, had capital in excess of its needs, and a plan to reduci it was submitted to and approved by the Comptroller of the Currency. Pursuant thereto, on due corporate proceedings, the eight thousand shares, par value $100.00, were reduced to four thousand shares, par value $100.00; $250,000 was distributed to stockholders prorata in cash, and $165,000 transferred to surplus account. Each stockholder surrendered his stock certificate and received another for half as many shares, and also $62.50 for each old share thus extinguished. Before the operation the book value of each share was $138.00. Afterwards the book value was $214.00. Each stockholder of course retained the same proportionate interest in the bank’s assets he had before. The taxpayer here surrendered one hundred and seventy shares and received back a certificate for eighty-five shares and $5,-312.50. In her income tax return she claimed a capital loss of the difference between the amount of cash received and the cost of the eighty-five shares, can-celled, deducting sixty percent thereof. The Commissioner disallowed the loss. The Board of Tax Appeals sustained the Commissioner, following its opinion in Orie R. Kelly v. Commissioner, 36 B.T.A. 507, although it was reversed by the Circuit Court of Appeals of the Second Circuit, 97 F.2d 915.
We agree with the Board that Kelly’s case is like this one; but we think the Court of the Second Circuit was right in following the clear words of the statute defining distributions of a corporation in liquidation, and the effect of them, rather than the Board’s idea that there could not be such a distribution by a redemption of stock unless there was “a return by the corporation of the full value of those shares which are redeemed.” That the