Opinion · United States Tax Court

Sidney v. Commissioner

30 T.C. 1155

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1958-08-25
Topic
general

The respondent determined deficiencies in income taxes in these consolidated cases as follows: [[Image here]] The issues for decision are whether any of the gain realized by petitioners upon the distribution of cash received by them in 1950 and 1951 from two corporations is gain from the sale or exchange of property which is not a capital asset as provided in section 117 (m) (1) of the Internal Revenue Code of 1939, and whether respondent has the burden of proof in Docket Nos. 60520 and 60521 by allegedly raising-new matter in amended answers filed therein. Due to mathematical errors in the deficiency notices of Kenneth Itchkow, Docket No. 60520, and Charles K. Itchkow and Sadie Itchkow, Docket No. 60521, a Rule 50 computation will be necessary. FINDINGS OF FACT. Some of the facts have been stipulated.

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