Opinion · United States Tax Court

Hirschman v. Commissioner

Hirschman v. Comm’r, 12 T.C. 1223 (T.C. 1949)

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1949-06-30
Topic
general

OPINION. Akundell, Judge: The sole question presented herein is whether the respondent was correct in imposing, in respect to the tax of each petitioner for 1943, a 50 per cent addition to tax for fraud under section 293 (b) of the Intemál Revenue Code. It is undisputed that the original 1943 partnership return of Clair & Hirschman and the individual income tax returns of the petitioners filed in March 1944 failed to include income in the amount of $30,909. The amounts and sources of this income have been shown by the respondent and are not challenged by the petitioners. On November 6,194i, petitioners learned that the respondent was investigating the tax returns of Morris Weisenfeld of Dallas, Texas, a customer of the petitioners.

Citator

Cited by
26 opinions