1925 BTA LEXIS 2521 | B.T.A. | 1925
Lead Opinion
This is an appeal from a determination by the Commissioner of a deficiency in income and profits taxes for the year 1917, amounting to less than $10,000, due to the exclusion by the Commissioner of $5,876.95 from the taxpayer’s invested capital, and the disallowance of a deduction to the extent of $1,575.
FINDINGS OP PACT.
The taxpayer! is an Indiana corporation. Until 1916 its books were so kept that it was impossible to determine from them the cost of the various items going into the taxpayer’s products. In April, 1916, it was decided to employ an accountant and systematizer to devise and install a modern cost-accounting system, The firm of A. L. Preston & Co., of Milwaukee, was retained for this purpose. It was agreed that Preston & Co. should be paid on the basis of per diem services rendered by members and assistants. Payments were made to Preston & Co. by the taxpayer from time to time in 1916 and 1917, as follows:
June 28, 1916_$1,000. 00
August 19, 1916_ 1, 000. 00
September 12, 1916_^_ 1,000. 00
October 14, 1916_ 1,000.00
November 3, 1916_ 1,204. 37
December 6, 1916_ 672.58
Total in 1916_$5, 876.95
January 11, 1917_$1, 320. 72
February 15, 1917_ 50. 00
February 28, 1917_ 446. 04
April 17, 1917_-_ 833.24
Total in 1917_ 2, 650. 00
Total__. 8,526.95
Work done by A. L. Preston & Co. consisted of making a complete examination of the taxpayer’s books and its affairs and of making recommendations and installing an accounting system. Some changes were made in this system in 1918. The taxpayer, in its income-tax returns for 1917 and 1918, treated the entire amount of $8,526.95 as a deferred expense and deducted one-half of it from its
DECISION.
The determination of the Commissioner is approved.