Opinion · United States Tax Court

Upham v. Commissioner

4 T.C. 1120

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1945-04-12
Topic
general

OPINION. HaiíROn, Judge: The question of whether a distribution in connection with the retirement of a portion of corporate stock is a taxable dividend or a distribution in partial liquidation depends upon the particular facts of each individual case. For this reason, most of the cases cited by both respondent and the petitioners are inapplicable, since they rest upon a combination of elements all of which are not present in this proceeding. As a result an extended discussion of these cases would not be helpful in the disposition of this case. Although respondent argues that the cash distribution to petitioners in the taxable year constituted a taxable dividend under section 115 (a) and (b) of the Internal Revenue Code, his principal reliance is upon section 115 (g) of the code.

Citator

UpLaw has not yet analyzed Upham v. Commissioner. The absence of a flag is not a finding that it is good law.

Cited by
3 opinions