Opinion · United States Tax Court

Manhattan Co. of Virginia, Inc. v. Commissioner

50 T.C. 78

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1968-04-17
Topic
general

Scott, Judge: Respondent determined deficiencies in income taxes of petitioner the Manhattan Co. in the amounts of $5,185.03, $2,322.48, and $1,470,67 for the taxable years 1961,1962, and 1963, respectively, and determined a deficiency in the income tax of petitioner the Manhattan Co. of Virginia, Inc., in the amount of $1,399.17 for the taxable year 1962. The issue for decision is whether petitioners are entitled to deduct the cost of customer lists in the year of purchase, or if not, whether petitioners are entitled to deductions for amortization or depreciation of such customer lists over the lives of the assets or whether such lists are capital assets of a nature not subject to depreciation or amortization. FINDINGS OF FACT Some of the facts were stipulated, and those facts are so found. The Manhattan Co. (hereinafter referred to as Manhattan), is a corporation organized under the laws of the State of Maryland.

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