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John T. Dorrance

John Thompson Dorrance
Born (1873-11-11)November 11, 1873
Bristol, Pennsylvania, US
Died September 21, 1930(1930-09-21) (aged 56)
Cinnaminson Township, New Jersey, US
Resting place West Laurel Hill Cemetery
Bala Cynwyd, Pa., US
Education Massachusetts Institute of Technology (BS)
Göttingen University (PhD)
Occupation Chemist, businessman
President & owner: Campbell Soup Company
Net worth USD $115 million at the time of his death (approximately 1/786th of US GNP)
Spouse(s) Ethel Mallinckrot
Children Elinore (b. 1907)
Ethel (b. 1909)
Charlotte (b. 1911)
Margaret (1915-1953)
John Jr. (1919-1989)
Parent(s) John and Elvira (née Thompson) Dorrance
Relatives John Dorrance, III (grandson)

John Thompson Dorrance (November 11, 1873 – September 21, 1930) was an American chemist who discovered a method to create condensed soup, and served as president of the Campbell Soup Company from 1914 to 1930.

Born in Bristol, Pennsylvania, he earned a bachelor of science degree from the Massachusetts Institute of Technology, where he was a member of Sigma Alpha Epsilon fraternity, and a doctor of philosophy from the University of Göttingen in Germany.

A nephew of the general manager of the Joseph Campbell Preserve Company, he went to work there in 1897 and invented condensed soup.

Dorrance went on to become the president of Campbell Soup Company from 1914 to 1930, eventually buying out the Campbell family. He turned the business into one of America's great, and longest-lasting, brands. He was succeeded by his brother, Arthur Dorrance.

In 1906 he married Ethel Mallinckrot, with whom he had five children.

Dorrance died on September 21, 1930 of heart disease at his home in Cinnaminson Township, New Jersey. He was buried in West Laurel Hill Cemetery in Bala Cynwyd, Pennsylvania. His estate in Radnor Township, Pennsylvania is now the home of Cabrini College.

Following Dorrance's death, there was significant litigation over his domicile for purposes of estate and inheritance tax. The Supreme Court of Pennsylvania held that he was domiciled in Pennsylvania, and the Supreme Court of New Jersey held that he was domiciled in New Jersey, and his estate was required to pay estate tax to both states. The estate sought relief in the United States Supreme Court, but the request for review was denied.


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