Opinion · United States Tax Court

Coady v. Commissioner

33 T.C. 771

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1960-01-29
Topic
labor-and-employment

OPINION. Tietjens, Judge: This proceeding involves a deficiency in income tax for tbe taxable year 1954 in the amount of $16,875, and an addition thereto under section 294(d)(2) of the 1939 Code in the amount of $1,012.50. The issue for decision is whether the transfer by the Christopher Construction Company of a portion of its assets to E. P. Coady and Co. in exchange for all of the Coady Company’s stock, and the subsequent distribution by the Christopher Company of such Coady stock to petitioner in exchange for his Christopher stock, constituted a distribution of stock qualifying for tax-free treatment on the shareholder level under the provisions of section 355 of the 1954 Internal Revenue Code.

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