SHORTAGES IN BOTTLED WINE
Proprietors of Bonded Wine Cellars
and Others Concerned:
Purpose. This is to inform you that an ATF Ruling will be pub-
lished in the ATF Bulletin, which will provide that unexplainable
shortages in bottled wine disclosed by inventory shall be regarded as
unreported removals subject to tax. The ruling will read as follows:
The Bureau of Alcohol, Tobacco and Firearms has been requested
to state its position in regard to the provisions of regulations
covering unexplained losses in bond of bottled wine.
In establishing regulations to implement 26 U.S.C. 5370 pertain-
ing to operations of bonded wineries, provisions were made to allow
for any wine lost or destroyed while in bond, provided such losses
were those considered to be usual or unavoidable in normal cellar
operations. Such losses were recognized to be those caused by spill-
age, leakage, evaporation, soakage, and other operational losses
sustained in connection with racking, filtering and other cellar
operations, including bottling. 26 U.S.C. 5370(a) was implemented by
regulations in 27 CFR 240.783, which provide a scale of loss percen-
tages that may be applied to the total gallonage of wine produced,
received in bond, and on hand at the beginning of the fiscal year.
The losses discussed above are of the type which can be generally
expected in the production and cellar treatment of bulk wine. The
quantity lost is determined when an actual inventory is taken of all
untaxpaid wine and the loss is reported on Form 702 submitted for the
month in which the actual inventory is taken.
With reference to bottled wine, it is recognized that breakage,
fire, and other casualties, or theft, may occur after the wine has been
placed in bottles. Losses from such causes, however, are immediately
determinable and are not considered to be "fiscal year losses," since
other provisions permit winemakers to account for and file claim for
such losses. Claims covering loss due to fire, theft and other extra-
ordinary losses may be filed under 27 CFR 240.786. Breakage should be
recorded on Form 2621, Record of Bottled Wine, required under 27 CFR
240.912, or in the case of large losses due to accidental breakage, such as may occur when a tier of palletized wine falls over in a
warehouse, claims may be filed immediately under 27 CFR 240.782.
It is the intent of regulations to remove any identifiable losses
from inclusion within the percentage limitations of fiscal year
operational losses and to permit immediate inspection of the evidence
substantiating claims for such losses (See ATF Ruling 74-3, ATF C.B.
Bottled wine is not subject to losses due to spillage, leakage,
soakage, evaporation and other losses normally occurring from racking
and filtering, etc. Moreover, wine that has been placed in bottles
can be accurately accounted for; and unexplained shortages must be
regarded as evidence that unreported removals have occurred.
Held, unexplained shortages in bottled wine disclosed by inven-
tory or otherwise, shall not be included in the normal and expected
fiscal year loss percentages, as set forth in 27 CFR 240.783, but
shall be regarded as unreported removals subject to tax.
Inquiries. Inquiries regarding this circular should refer to
its number and be addressed to the Assistant Director, Regulatory
Enforcement, Bureau of Alcohol, Tobacco and Firearms,
1200 Pennsylvania Avenue, N. W., Washington, D. C. 20226.
REX D. DAVIS