Opinion · United States Tax Court

Jones v. Commissioner

24 T.C. 563

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1955-06-30
Topic
general

OPINION. Murdoch, Juáge: The petitioner spent about $49,000 in 1950 on the property at 621 St. Peter Street which he had then recently acquired. He concedes that $17,307.59 of the total represented capital expenditures but contends that the balance of $31,512.36 is deductible under section 23 (a) (1) (A) of the Internal Revenue Code as the cost of repairs. He argues that the refusal of the Yieux Carré Commission to grant him permission to demolish the building in accordance with the recommendation of his architects left him with no alternative but to proceed with a repair program, regardless of the cost, and the sum of $31,512.36 was spent for items of repair which served only to put the building in good condition without structural changes inside or out, lengthening its useful life, or increasing its value.

Citator

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

Cited by
3 opinions