Opinion · Court of Appeals for the Sixth Circuit

United States v. Title Guarantee & Trust Co.

133 F.2d 990

Type
Opinion
Court
Court of Appeals for the Sixth Circuit
Jurisdiction
Federal
Date
1943-02-17
Topic
general

McALLISTER, Circuit Judge. The question to be determined on this appeal is whether amounts paid by a corporation on certain certificates, designated as preferred stock, should be treated as interest payments on indebtedness, or as dividends on stock. The district court held that the payments were interest on indebtedness and, therefore, properly deductible from gross income for tax purposes under § 23, Title 26 U.S.C.A. Int.Rev.Code. In 1929, appellee, the Title Guarantee and Trust Company, was engaged in the mortgage loan, and title and abstract business.

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