Opinion · United States Tax Court

Howell v. Commissioner

57 T.C. 546

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1972-01-31
Topic
general

Steeeett, Judge: Respondent determined deficiencies in petitioners’ income taxes for the years and in the amounts as follows: [[Image here]] The issues for decision are: (1) Whether certain real property, which constituted the only property held by Hectare, Inc., and was sold by it during 1964, 1965, and 1966, was a capital asset within the meaning of section 1221,I.R.C. 1954,2 or whether such property was held by the corporation primarily for sale to customers in the ordinary course of the corporate trade or business. (2) Whether Hectare, Inc., was entitled to the small business corporation election provided for under section 1372. (3) Whether respondent properly determined that distributions the stockholders of Hectare, Inc., received from that corporation constituted ordinary income to the stockholders and not long-term capital gain. FINDINGS OF FACT Some of the facts have been stipulated and are found accordingly. William B. and Fay S.

Citator

Cited by
25 opinions