Opinion · United States Tax Court

Danz v. Commissioner

Danz v. Comm’r, 18 T.C. 454 (T.C. 1952)

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1952-06-04
Topic
general

OPINION. Murdock, Judge: One of the requirements for exemption under section 101 (6) is that the entity be “organized and operated exclusively for religious, onaritable, scientific, literary, or educational purposes.” Among the purposes of the present trust during the taxable years was that of making money from the operation of retail candy stores and a hotel. Those were regular substantial businesses which normally subject the owners to tax.1 They accounted for the larger part of the income of the trust and were in no sense merely incidental or even related to the operation of a charity. Cf. Squire v.

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