Opinion · United States Tax Court

Stratton v. Commissioner

Stratton v. Comm’r, 54 T.C. 255 (T.C. 1970)

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1970-02-12
Topic
general

OPINION The three issues previously stated are primarily questions of fact which have been resolved in our ultimate findings. Respondent’s case is premised on a net worth plus nondeductible expenditures approach covering the calendar years 1953 through 1960 while petitioner William G. Stratton was Governor of the State of Illinois. The respondent’s computations under this approach which were part of the statement attached to the deficiency notice are set out in our findings. Petitioners challenge the appropriateness of respondent’s use of the net worth method on the ground that they maintained adequate records of all income.

Citator

Cited by
81 opinions