Opinion · United States Tax Court

Putoma Corp. v. Commissioner

66 T.C. 652

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1976-06-30
Topic
general

Wilbur, Judge: Respondent has determined the following deficiencies in petitioners’ Federal income tax: Deficiency Docket No. Petitioner(s) Taxable period $7,808.88 7468-73 Putoma Corp., successor by merger of Pro-Mac Co._ FY 7/31/67 62,274.65 FY 7/31/68 38,233.57 FY 7/31/69 11.612.39 FY 7/31/71 4,094.02 7469-73 Lee Roy Purselley and Georgia Purselley_ 1969 17,387.01 7470-73 Putoma Corp._ FY 6/30/66 11.667.40 FY 6/30/67 166,075.24 FY 6/30/68 13,016.76 7/1-12/31/70 83,728.45 7471-73 1970 J. M. Hunt and Inez Hunt 92,580.12 7472-73 1970 Lee Roy Purselley_ Certain concessions having been made by the parties, the following issues remain for our decision: (1) Whether petitioners, Putoma Corp. (hereinafter referred to as Putoma), and Putoma Corp., successor by merger of Pro-Mac (hereinafter referred to as Pro-Mac), are entitled to deduct compensation to shareholder-employees which was accrued but not paid in the years at issue.

Citator

Cited by
44 opinions