Opinion · United States Tax Court

Baird v. Commissioner

25 T.C. 387

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1955-12-05
Topic
general

OPINION. Fisher, Judge: The principal issue presented for decision is whether the withdrawals by petitioners William C. Baird and Harold J. Baird from their family-owned corporation, of which they were officers and stockholders in the years prior to 1951, constituted a disguised distribution of dividends taxable to them as income for the years involved herein, as determined by respondent, or were bona fide loans, as contended by petitioners. We are of the opinion, upon consideration of the entire record, that the withdrawals in question by the Baird brothers, respectively, in excess of salary credits were distributions out of earnings and profits of the corporation made to them as shareholders within the meaning of section 115 (a) of the Internal Bevenue Code of 1939, and that such distributions were dividends rather than loans.

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