Opinion · United States Tax Court

Court Holding Co. v. Commissioner

2 T.C. 531

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1943-08-09
Topic
employee-benefits-and-executive-compensation

OPINION. Disney, Judge: We consider first the question whether the petitioner is entitled to a deduction from gross income for 1939 for the $350 paid to Regina Feiwish and designated by the petitioner as rent discount. The grounds upon which the deduction was disallowed are not stated in the deficiency notice, and the respondent’s brief contains no argument on this issue. In our opinion the amount in question constituted interest paid on an indebtedness of the petitioner, and is deductible. It is true that the promissory notes representing the Fei-wish loan were made by Louis Miller, individually, but it is not disputed that the loan was made to the petitioner or that it was repaid by the petitioner.

Citator

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