Opinion · United States Tax Court

Shaw v. Commissioner

27 T.C. 561

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1956-12-21
Topic
general

OPINION. FisheR, Judge: We must decide whether respondent is correct in his determination of deficiencies in petitioners’ income taxes and, further, whether such deficiencies are due to fraud. During the years here in issue petitioner was engaged in a variety of business activities, the principal one of which appears to have been the conduct of a general merchandise store. In addition, he operated several farms, engaged in a mussel fishing business, and had an interest in the operation of a cotton gin. When respondent’s agent attempted to audit petitioner’s income tax returns, he was informed by petitioner that all books and records were destroyed immediately after each of the returns was prepared.

Citator

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