Opinion · United States Tax Court

Ewing v. Commissioner

20 T.C. 216

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1953-04-30
Topic
general

OPINION. Arundell, Judge: The basic question before us is the deductibility of unrecovered sums advanced by the petitioner to The Ballet Theatre, Inc., her controlled corporation,, for the production of ballet. The sum of $203,789.81,6 the amount in question for the year 1942, was advanced by the petitioner indirectly through High Time Promotions, Inc., her wholly owned corporation, and the sum of $140,630.22, the amount in question for the year 1943, was advanced by the petitioner directly. Under the terms of the agreements with The Ballet Theatre, Inc., the right to the recovery of these sums was lost in the years 1942 and 1943 when The Ballet Theatre, Inc., incurred losses. In her original petition, the petitioner claimed the amounts as worthless debts under section 23 (k).

Citator

UpLaw has not yet analyzed Ewing v. Commissioner. The absence of a flag is not a finding that it is good law.

Authority status
pending
Cited by
4 opinions