Opinion · United States Tax Court

Miles-Conley Co. v. Commissioner

10 T.C. 754

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1948-04-30
Topic
general

OPINION. Kern, Judge: The first and more interesting question involved in this proceeding is whether the respondent erred in allocating to petitioner corporation all of the net income of a sole proprietorship carried on by petitioner’s controlling stockholder, A. Carlisle Miles, doing business as Carlisle Miles & Co., for the taxable year ended August 31, 1944. Respondent determined that petitioner’s income for the taxable year should be increased by the amount of the net income of the proprietorship under the provisions of section 45 of the Internal Revenue Code.1 Respondent’s principal argument offered to support the validity of this determination is that A. Carlisle Miles, who controlled petitioner corporation, and, of course, controlled his sole proprietorship, caused certain of the profits which would otherwise have been earned by the petitioner to be shifted to his individually owned business.

Citator

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