Opinion · United States Tax Court

Diamond v. Commissioner

56 T.C. 530

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1971-06-21
Topic
litigation

OPINION Raum, Judge: 1. Payments to the Moravecs. — In 1961 petitioner Sol Diamond, as a mortgage broker, received an aggregate of $145,-186.37 in commissions or fees from various borrowers for obtaining some 24 loans on their behalf from Marshall Savings & Loan Association, which was controlled by members of the Moravec family. He reported that amount as income and claimed various deductions as expenses incurred in the conduct of his mortgage brokerage business. Among those deductions was an item of $39,398.50 described as “Consultants fees.” That item represents the sum of payments made by petitioner to the Moravecs in connection with four of the foregoing loans plus a further payment to them that was not identified with any particular loan. The Commissioner disallowed the claimed deduction.

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