In 1942 plaintiff employer adopted a profit-sharing plan under which a percentage of each year\u27s profits was to be deposited in irrevocable trusts for distribution to its employees in succeeding years. The plan was not qualified under the Internal Revenue Code. Although under the terms of the trusts each employee\u27s rights in the fund vested at the time the contribution was made by the employer, these rights would be forfeited by voluntary resignation prior to a fixed date. In 1945 plaintiff deducted the amount contributed to the trust in that year as a contribution to a non-qualified profit-sharing plan under subsection (D) of section 23 (p) (1), but the Commissioner of Internal Revenue disallowed any deduction in that or any other ...
Petitioner owned more than three-fourths of the stock in a corporation whose shares had a par value ...
The plaintiff taxpayer, as the general manager of a manufacturing corporation, received a bonus of a...
Plaintiff held common and preferred stock of the Gulf States Paper Corporation. In 1942 plaintiff re...
In 1942 plaintiff employer adopted a profit-sharing plan under which a percentage of each year\u27s ...
Plaintiff corporation set up a profit sharing trust for the benefit of its employees as authorized u...
Discussion of Lincoln Electric Company v. Commissioner of Internal Revenue, 17 Tax Court 1600 (1952)...
In 1989 and 1940 the corporate taxpayer claimed as charitable deductions the value of two parcels of...
Petitioner and one Elkins were employed by a corporation which they had organized to engage in the e...
Petitioner gave shares of stock in a closely held family corporation to his wife and children. After...
Taxpayer, a corporate shareholder, received from the corporation a distribution of property which ha...
In 1932 the taxpayer sold to the X corporation, which he wholly owned and controlled, certain shares...
Decedent had promised to contribute funds to numerous educational, religious, and charitable institu...
This action was brought against the United States for a refund of income taxes paid. Plaintiff taxpa...
The testator gave the residue of his estate to a charity. When the widow of the testator made known ...
Bonds of a prescribed kind were deposited in an investment trust with defendant, who issued certific...
Petitioner owned more than three-fourths of the stock in a corporation whose shares had a par value ...
The plaintiff taxpayer, as the general manager of a manufacturing corporation, received a bonus of a...
Plaintiff held common and preferred stock of the Gulf States Paper Corporation. In 1942 plaintiff re...
In 1942 plaintiff employer adopted a profit-sharing plan under which a percentage of each year\u27s ...
Plaintiff corporation set up a profit sharing trust for the benefit of its employees as authorized u...
Discussion of Lincoln Electric Company v. Commissioner of Internal Revenue, 17 Tax Court 1600 (1952)...
In 1989 and 1940 the corporate taxpayer claimed as charitable deductions the value of two parcels of...
Petitioner and one Elkins were employed by a corporation which they had organized to engage in the e...
Petitioner gave shares of stock in a closely held family corporation to his wife and children. After...
Taxpayer, a corporate shareholder, received from the corporation a distribution of property which ha...
In 1932 the taxpayer sold to the X corporation, which he wholly owned and controlled, certain shares...
Decedent had promised to contribute funds to numerous educational, religious, and charitable institu...
This action was brought against the United States for a refund of income taxes paid. Plaintiff taxpa...
The testator gave the residue of his estate to a charity. When the widow of the testator made known ...
Bonds of a prescribed kind were deposited in an investment trust with defendant, who issued certific...
Petitioner owned more than three-fourths of the stock in a corporation whose shares had a par value ...
The plaintiff taxpayer, as the general manager of a manufacturing corporation, received a bonus of a...
Plaintiff held common and preferred stock of the Gulf States Paper Corporation. In 1942 plaintiff re...