Under a pension and retirement plan, decedent had the option of receiving a pension for life or a smaller pension while both he and his wife lived, with two-thirds of such reduced pension payable to the survivor for life. On decedent\u27s normal retirement date he chose the latter. Decedent did not retire but continued working until his death. His wife was then entitled to receive a monthly income for life under the pension plan. The Commissioner of Internal Revenue determined that the value of the wife\u27s annuity should be included in the decedent\u27s gross estate. Plaintiff instituted action for refund of the tax attributable to the annuity. Held, for the plaintiff. The value of the annuity is not includible in decedent\u27s gross esta...
Plaintiff was the beneficiary of a life insurance policy payable in equal installments over a period...
The recent decision by the Supreme Court in United States v. Jacobs deals with the troublesome issue...
The decedent was a beneficiary of a trust established by his father and of two other trusts created ...
Under a pension and retirement plan, decedent had the option of receiving a pension for life or a sm...
The decedent purchased several single-premium annuity contracts, the annuity payments to be made to ...
Upon decedent\u27s death, his former employer made certain payments to the surviving widow under two...
Plaintiff, executor of decedent\u27s estate, brought suit to recover an overpayment of federal estat...
Six life insurance policies were taken out by decedent upon his own life between March 19, 1925 and ...
In 1929 the decedent established a trust, reserving a life estate in the income. On the termination ...
Decedent, aged seventy-six, invested in three single premium life insurance policies. Issuance of ea...
Nearly six years after taxpayer died income tax deficiencies were determined against his estate. Sin...
A taxpayer was the beneficiary of life insurance policies which required the insurance company to ma...
Decedent, an attorney, in 1925, at the age of sixty-nine, established two spendthrift trusts-one for...
In 1918 decedent established a trust fund in favor of his daughter, reserving the power to alter or ...
Decedent\u27s employment contract provided for a salary payable to him and monthly payments to his w...
Plaintiff was the beneficiary of a life insurance policy payable in equal installments over a period...
The recent decision by the Supreme Court in United States v. Jacobs deals with the troublesome issue...
The decedent was a beneficiary of a trust established by his father and of two other trusts created ...
Under a pension and retirement plan, decedent had the option of receiving a pension for life or a sm...
The decedent purchased several single-premium annuity contracts, the annuity payments to be made to ...
Upon decedent\u27s death, his former employer made certain payments to the surviving widow under two...
Plaintiff, executor of decedent\u27s estate, brought suit to recover an overpayment of federal estat...
Six life insurance policies were taken out by decedent upon his own life between March 19, 1925 and ...
In 1929 the decedent established a trust, reserving a life estate in the income. On the termination ...
Decedent, aged seventy-six, invested in three single premium life insurance policies. Issuance of ea...
Nearly six years after taxpayer died income tax deficiencies were determined against his estate. Sin...
A taxpayer was the beneficiary of life insurance policies which required the insurance company to ma...
Decedent, an attorney, in 1925, at the age of sixty-nine, established two spendthrift trusts-one for...
In 1918 decedent established a trust fund in favor of his daughter, reserving the power to alter or ...
Decedent\u27s employment contract provided for a salary payable to him and monthly payments to his w...
Plaintiff was the beneficiary of a life insurance policy payable in equal installments over a period...
The recent decision by the Supreme Court in United States v. Jacobs deals with the troublesome issue...
The decedent was a beneficiary of a trust established by his father and of two other trusts created ...