Taxpayer had the exclusive right for a period of ten years to purchase all the coal mined by the operator of certain mines. In 1949 the operator paid taxpayer $500,000 as consideration for the complete acquisition of taxpayer\u27s right and interest in the purchase agreement. Taxpayer reported this sum as a long-term capital gain. The Commissioner claimed that the amount received was ordinary income. The Tax Court upheld taxpayer\u27s contention, indicating that the transaction had resulted in the sale or exchange of a capital asset. On appeal by the Commissioner, held, reversed, one justice dissenting. This transaction was more in the nature of an extinguishment of taxpayer\u27s right than of its sale or transfer. The amount received was t...
Testator died in 1903, and the executors turned over the residue of his estate to themselves as test...
Petitioners had formed a corporation for the purpose of building and operating a housing project. Af...
Petitioner, a motion picture exhibitor, sued certain motion picture distributors under the private r...
Taxpayer, a tenant in possession of premises under a lease, received a payment from the lessor to va...
Taxpayer, a tenant in possession of premises under a lease, received a payment from the lessor to va...
The lessor and the sublessee of a valuable piece of business property sought to remove the interveni...
Petitioner executed a written agreement with a contractor in 1954 whereby the contractor acquired th...
Taxpayer, a manufacturer of products made from corn, purchased and sold corn futures contracts as a ...
Petitioners, from 1937 to 1940, received distributions from the liquidation of a corporation of whic...
In 1936, a taxpayer sold his interest in a partnership the assets of which were mainly acquired subs...
Petitioner sold a farm owned over six months upon which was a growing but unmatured wheat crop. When...
During 1951 petitioner, a cash method taxpayer, executed a mineral lease. As part of the considerati...
The owners of the entire capital stock of a newspaper business received an offer of $1,000,000 for t...
X contracted with a corporation controlled by him for the manufacture of machines on which he held p...
The stockholders of a closely held electric utility corporation offered to sell all the corporate st...
Testator died in 1903, and the executors turned over the residue of his estate to themselves as test...
Petitioners had formed a corporation for the purpose of building and operating a housing project. Af...
Petitioner, a motion picture exhibitor, sued certain motion picture distributors under the private r...
Taxpayer, a tenant in possession of premises under a lease, received a payment from the lessor to va...
Taxpayer, a tenant in possession of premises under a lease, received a payment from the lessor to va...
The lessor and the sublessee of a valuable piece of business property sought to remove the interveni...
Petitioner executed a written agreement with a contractor in 1954 whereby the contractor acquired th...
Taxpayer, a manufacturer of products made from corn, purchased and sold corn futures contracts as a ...
Petitioners, from 1937 to 1940, received distributions from the liquidation of a corporation of whic...
In 1936, a taxpayer sold his interest in a partnership the assets of which were mainly acquired subs...
Petitioner sold a farm owned over six months upon which was a growing but unmatured wheat crop. When...
During 1951 petitioner, a cash method taxpayer, executed a mineral lease. As part of the considerati...
The owners of the entire capital stock of a newspaper business received an offer of $1,000,000 for t...
X contracted with a corporation controlled by him for the manufacture of machines on which he held p...
The stockholders of a closely held electric utility corporation offered to sell all the corporate st...
Testator died in 1903, and the executors turned over the residue of his estate to themselves as test...
Petitioners had formed a corporation for the purpose of building and operating a housing project. Af...
Petitioner, a motion picture exhibitor, sued certain motion picture distributors under the private r...