Depreciation as Applied to Oil Properties
Author(s) -
Philip W. Henry
Publication year - 1916
Publication title -
transactions of the aime
Language(s) - English
Resource type - Journals
ISSN - 0081-1696
DOI - 10.2118/916560-g
Subject(s) - depreciation (economics) , valuation (finance) , revenue , net income , treasury , economics , accounting , income tax , finance , business , public economics , law , microeconomics , political science , profit (economics) , financial capital , capital formation
Published in Petroleum Transactions, AIME, Volume 52, 1916, pages 560–570. There is a difference of opinion among engineers on the subject of depreciation in general, and still more on its application to any given case The committee which was appointed by the American Society of Civil Engineers to make a report on Valuation of Public Utilities, states "There is no subject connected with valuation about which there are more diverse views than those relating to depreciation;" and in the discussion which took place upon the presentation of the preliminary report of this committee in January, 1914, that part of the report dealing with depreciation called forth more discussion than any other. From this discussion it was evident that the word "depreciation" was not always used in the same sense, so it is quite important that some definition be adopted. As this paper relates to the proper method of treating depreciation by corporations or individuals operating oil properties, both of which must make a return of annual net income to the government in connection with the income tax, it will be in order to adopt the definition of the Internal Revenue Bureau. Under date of Mar. 29, 1910, the Commissioner of Internal Revenue of the Treasury Department stated "Deduction on account of depreciation of property must be based on lifetime of property, its cost, value and use." Again, on Form 1035, "Return of Annual Net Income" for miscellaneous corporations (Section 2, Act of Congress approved Oct. 3, 1913), a deduction from gross income is allowed for "Total amount of depreciation for the year." T.P. 051–37
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