Opinion · United States Tax Court

Kimbell-Diamond Milling Co. v. Comm'r

14 T.C. 74

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1950-01-27
Topic
general

OPINION. Black, Judge: This proceeding involves deficiencies in income, declared value excess profits, and excess profits taxes for the fiscal years ended May 31,1945 and 1946, in the following amounts: [[Image here]] The deficiencies are primarily due to respondent’s reduction of petitioner’s basis in assets acquired by it in December, 1942’, through the liquidation of another corporation known as Whaley Mill & Elevator Co. (sometimes hereinafter referred to as Whaley). By reason of this reduction respondent has adjusted petitioner’s allowable depreciation and its excess profits tax credit based on equity invested capital. By appropriate assignments of error petitioner contests these adjustments.

Citator

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