Opinion · United States Tax Court

Thomas E. Snyder Sons Co. v. Commissioner

Thomas E. Snyder Sons Co. v. Comm’r, 34 T.C. 400 (T.C. 1960)

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1960-06-06
Topic
general

Tietjens, Judge: The Commissioner determined the following deficiencies in income tax: Fiscal year ended Feb. 28— Amount 1954 _ $4,128.56 1955 _ 50,870.97 1956 _ 49,875.03 The only question for decision is whether petitioner is entitled to carry over net operating losses incurred in its former farm implement business in prior years against its subsequent earnings from a different type of business not owned at the time of the losses. FINDINGS OF FACT. The stipulated facts are so found and the stipulation together with the exhibits attached thereto are included herein by reference. Petitioner is an Illinois corporation organized on March 3, 1949, as “Great American Farm Implement Corp.” Its income tax returns were filed with the district director of internal revenue at Chicago, Illinois. Petitioner’s articles of incorporation provided for the following corporate purposes: 1.

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