Petitioner and one Elkins were employed by a corporation which they had organized to engage in the electrical contracting business. They furnished their own automobiles to transport men and material from job to job, and were reimbursed by the corporation for operating expenses. The corporation also paid for insurance and repairs of the automobiles. While Elkins was using petitioner\u27s car to drive two employees to a job in progress, a collision occurred causing personal injuries to the two employees, who recovered a judgment against petitioner which he finally settled by payment of $4,000 in excess of the amount of the insurance coverage. The corporation was not made a party to the suit, nor was any demand ever made against it for reimbur...
This action was brought against the United States for a refund of income taxes paid. Plaintiff taxpa...
Petitioners were members of a partnership engaged in the wholesale distribution of beer in Washingto...
The plaintiff taxpayer, as the general manager of a manufacturing corporation, received a bonus of a...
Petitioner and one Elkins were employed by a corporation which they had organized to engage in the e...
Plaintiff corporation set up a profit sharing trust for the benefit of its employees as authorized u...
In 1932 the taxpayer sold to the X corporation, which he wholly owned and controlled, certain shares...
In 1942 plaintiff employer adopted a profit-sharing plan under which a percentage of each year\u27s ...
Petitioner gave shares of stock in a closely held family corporation to his wife and children. After...
Petitioner was a member of a firm of lawyers engaged in general practice in Binghamton, New York. Th...
Discussion of Lincoln Electric Company v. Commissioner of Internal Revenue, 17 Tax Court 1600 (1952)...
Lawrence D. Sullivan, a wire lather employed by a New York City construction company incurred $1,494...
The taxpayer purchased A Company stock from X for $100,000 and later sold it for $7,500, deducting t...
The taxpayer, a lawyer, had resided in Jackson, Mississippi for approximately thirty-five years, and...
A partnership formed for the purpose of holding and renting real estate and such other business and...
In 1989 and 1940 the corporate taxpayer claimed as charitable deductions the value of two parcels of...
This action was brought against the United States for a refund of income taxes paid. Plaintiff taxpa...
Petitioners were members of a partnership engaged in the wholesale distribution of beer in Washingto...
The plaintiff taxpayer, as the general manager of a manufacturing corporation, received a bonus of a...
Petitioner and one Elkins were employed by a corporation which they had organized to engage in the e...
Plaintiff corporation set up a profit sharing trust for the benefit of its employees as authorized u...
In 1932 the taxpayer sold to the X corporation, which he wholly owned and controlled, certain shares...
In 1942 plaintiff employer adopted a profit-sharing plan under which a percentage of each year\u27s ...
Petitioner gave shares of stock in a closely held family corporation to his wife and children. After...
Petitioner was a member of a firm of lawyers engaged in general practice in Binghamton, New York. Th...
Discussion of Lincoln Electric Company v. Commissioner of Internal Revenue, 17 Tax Court 1600 (1952)...
Lawrence D. Sullivan, a wire lather employed by a New York City construction company incurred $1,494...
The taxpayer purchased A Company stock from X for $100,000 and later sold it for $7,500, deducting t...
The taxpayer, a lawyer, had resided in Jackson, Mississippi for approximately thirty-five years, and...
A partnership formed for the purpose of holding and renting real estate and such other business and...
In 1989 and 1940 the corporate taxpayer claimed as charitable deductions the value of two parcels of...
This action was brought against the United States for a refund of income taxes paid. Plaintiff taxpa...
Petitioners were members of a partnership engaged in the wholesale distribution of beer in Washingto...
The plaintiff taxpayer, as the general manager of a manufacturing corporation, received a bonus of a...