Testator died in 1903, and the executors turned over the residue of his estate to themselves as testamentary trustees in 1905. In 1923, pursuant to the will, trustees delivered part of the original trust property, together with other property purchased with trust funds, to plaintiff, the equitable remainderman under the trust. In 1930 plaintiff sold some of the securities which had constituted the corpus of the trust. In determining the cost basis for the capital gains tax on this transaction, plaintiff claimed that the market value on the date when the trustees delivered the property to him in 1923 should be controlling under the Revenue Act of 1928, which provides that the cost basis with respect to general bequests should be the value of...
The lessor and the sublessee of a valuable piece of business property sought to remove the interveni...
The raising of funds to pay taxes will probably be a major problem of business men for many years to...
In 1928, decedent established a trust giving his wife the income for her life, with a remainder to h...
In 1936, a taxpayer sold his interest in a partnership the assets of which were mainly acquired subs...
In 1915 petitioner and husband purchased property by the entirety for $13,000. Petitioner contribute...
Taxpayer had the exclusive right for a period of ten years to purchase all the coal mined by the ope...
Petitioners, from 1937 to 1940, received distributions from the liquidation of a corporation of whic...
In 1919 decedent transferred property in irrevocable trust, income to be paid to X for life and on X...
Decedent created eight inter vivos trusts for the benefit of his immediate family, reserving the pow...
In 1925 and 1926 decedent and his wife created two trusts, decedent contributing 80 per cent, and hi...
Respondent taxpayer transferred stock to his former wife pursuant to a voluntary property settlement...
Executors were directed to sell the testator\u27s residuary estate. Out of one-fifth of the proceeds...
An inter vivas trust created by testator and property held jointly with his wife were included in hi...
Taxpayer, a tenant in possession of premises under a lease, received a payment from the lessor to va...
The stockholders of a closely held electric utility corporation offered to sell all the corporate st...
The lessor and the sublessee of a valuable piece of business property sought to remove the interveni...
The raising of funds to pay taxes will probably be a major problem of business men for many years to...
In 1928, decedent established a trust giving his wife the income for her life, with a remainder to h...
In 1936, a taxpayer sold his interest in a partnership the assets of which were mainly acquired subs...
In 1915 petitioner and husband purchased property by the entirety for $13,000. Petitioner contribute...
Taxpayer had the exclusive right for a period of ten years to purchase all the coal mined by the ope...
Petitioners, from 1937 to 1940, received distributions from the liquidation of a corporation of whic...
In 1919 decedent transferred property in irrevocable trust, income to be paid to X for life and on X...
Decedent created eight inter vivos trusts for the benefit of his immediate family, reserving the pow...
In 1925 and 1926 decedent and his wife created two trusts, decedent contributing 80 per cent, and hi...
Respondent taxpayer transferred stock to his former wife pursuant to a voluntary property settlement...
Executors were directed to sell the testator\u27s residuary estate. Out of one-fifth of the proceeds...
An inter vivas trust created by testator and property held jointly with his wife were included in hi...
Taxpayer, a tenant in possession of premises under a lease, received a payment from the lessor to va...
The stockholders of a closely held electric utility corporation offered to sell all the corporate st...
The lessor and the sublessee of a valuable piece of business property sought to remove the interveni...
The raising of funds to pay taxes will probably be a major problem of business men for many years to...
In 1928, decedent established a trust giving his wife the income for her life, with a remainder to h...