Opinion · Court of Appeals for the Sixth Circuit

Cleveland Trust Co. v. United States

421 F.2d 475

Type
Opinion
Court
Court of Appeals for the Sixth Circuit
Jurisdiction
Federal
Date
1970-01-23
Topic
estate-planning

JOHN W. PECK, Circuit Judge. These combined appeals arose out of an action for the refund of federal estate tax deficiencies of $565,980.20, assessed and collected by the Internal Revenue Service against the Estate of Helen Wade Greene. The deficiencies were based on the determination of the Internal Revenue Service (hereinafter usually “IRS”) that a transfer of property to an irrevocable trust by the decedent, Helen Wade Greene, some sixteen months prior to her death, was made in contemplation of death and thus includable in her gross estate. The decedent, Helen Wade Greene, was a member of the wealthy and prominent Wade family of Cleveland, Ohio.

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