Artnell Company V. Commissioner
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''Artnell Company v. Commissioner'', 400
F.2d The ''Federal Reporter'' () is a case law reporter in the United States that is published by West Publishing and a part of the National Reporter System. It begins with cases decided in 1880; pre-1880 cases were later retroactively compiled by We ...
981 (7th Cir. 1968) is a decision by the 7th Circuit Court of Appeals, in which the court, distinguishing from the holding in '' Schlude v. Commissioner'', held that accrual method taxpayers are not required to include prepayments in gross income when there is certainty as to when performance would occur.


Facts

The petitioner, an accrual method taxpayer, operated the
Chicago White Sox The Chicago White Sox are an American professional baseball team based in Chicago. The White Sox compete in Major League Baseball (MLB) as a member club of the American League (AL) Central division. The team is owned by Jerry Reinsdorf, and p ...
professional baseball franchise using a
fiscal year A fiscal year (or financial year, or sometimes budget year) is used in government accounting, which varies between countries, and for budget purposes. It is also used for financial reporting by businesses and other organizations. Laws in many ...
for federal income tax purposes. During the 1962 taxable year, the club sold single and season tickets to games to be played during the 1963 taxable year. The petitioner failed to report income from the sales on its 1962 return and instead reported the receipts as income in 1963. The petitioner's decision to include income from its ticket sales in 1963, rather than 1962, was part of their practice of reporting income from ticket sales as the corresponding games were played. The Commissioner argued that, in light of '' Schlude v. Commissioner'', the income should have been reported in the year in which the payment was received, the 1962 taxable year.


Issue

Must the taxpayer include in gross income for 1962 the sale of proceeds received from tickets allocable to games to be played in 1963?


Holding

No. Despite the general rule that requires
accrual method A basis of accounting is the time various financial transactions are recorded. The cash basis (EU VAT vocabulary ''cash accounting'') and the accrual basis are the two primary methods of tracking income and expenses in accounting. Both can ...
taxpayers to include advance payments in the year of receipt, the court carved out a narrow exception for taxpayers such as the petitioners, who are able to prove that services will be performed on fixed dates in one or more subsequent taxable years.


Rationale

Generally, accrual method taxpayers include income in taxable year it is earned, rather than when it is received. However, the Supreme Court trilogy ending with ''Schlude'' required inclusion of prepayments in gross income because of the uncertainties as to when, or if, performance would occur. The court distinguished the facts of Artnell from this holding and found that the uncertainties present in previous cases that required the inclusion of advance payments in the year of receipt were not present. The Court found that the deferred income was attributable to games that were intended to be played on a fixed schedule and that notwithstanding rain delays there was certainty about when services would be performed. The court reasoned that there are some situations where deferral will so clearly reflect income, that the IRS abuses its discretion when it refuses to permit deferral.


References

Samuel A. Donaldson, Federal Income Taxation of Individuals 399 (2005).


External links

Chicago White Sox United States taxation and revenue case law 1968 in United States case law United States Court of Appeals for the Seventh Circuit cases {{Tax-stub