Opinion · United States Tax Court

United California Bank v. Commissioner

41 T.C. 437

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1964-01-03
Topic
general

OPINION TURNER, Judge: The petitioner contends that its predecessor, First Western Bank & Trust Co., retired the 526 California Street building and certain building accessories, vault equipment, and banking fixtures by abandonment during 1958, and thereby sustained a loss deductible under section 165 (a)6 or section 167(a)7 of the Internal Revenue Code of 1954. It is the contention of the respondent that the bank sustained no loss due to abandonment of the property in 1958, but to the contrary sold the property in 1959, realizing a gain thereon. According to subsection (a) of section 1.167(a)-1, Income Tax Regs., the allowance for depreciation, which includes a reasonable allowance for obsolescence, is that amount which should be set aside for the taxable year under a reasonably consistent plan, so that at the end of the estimated useful life the aggregate of the amounts so set aside, plus the salvage value, will equal the cost or other basis of the property. By subsection (b), it is provided (1) that for the purposes of section 167, supra, “the estimated useful life of an asset is not necessarily the useful life inherent in the asset but is the period over which the asset may reasonably be expected to be useful to the taxpayer in his trade or business or in the production” of income, (2) that “experience with similar property taking into account present conditions and probable future developments” is a matter for consideration in determining the period of estimated useful li…

Citator

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

Authority status
pending
Cited by
3 opinions