Opinion · United States Tax Court

Tollefsen v. Commissioner

Tollefsen v. Comm’r, 52 T.C. 671 (T.C. 1969)

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1969-07-24
Topic
general

OPINION Raum, Judge: The sole issue is whether the net withdrawals made by petitioner George E. Tollefsen from Tollefsen Manufacturing during 1961 constituted loans, as contended by the petitioners, or distributions of dividends, as contended by the Commissioner. Eesolution of this issue requires us to determine first whether Tollefsen’s withdrawals were intended as bona fide loans to him, or as permanent withdrawals. If the withdrawals were intended to be permanent, we must further determine whether petitioners received dividends notwithstanding they were not record owners of stock in Tollefsen Manufacturing. Essential to our first inquiry is the determination of whether repayment of the advances was in fact contemplated by the parties at the time the withdrawals were made.

Citator

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

Authority status
pending
Cited by
3 opinions