Legal Opinion

Kentucky Farm & Cattle Co. v. Commissioner

United States Tax Court

Decided September 30, 1958No. Docket No. 62687Published

1. Held, that in determining the excess profits credit for the years 1950 and 1951 and the unused excess profits credit to be carried back from 1952 to 1951 of an affiliated group with one section 445 subsidiary, where there were unrealized profits in 1949 and 1950 resulting from intercompany transactions consisting of sales of tobacco by the parent to its section 445 "new" corporation subsidiary, petitioner is entitled to have included in the parent's assets for 1949 and…

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1. Held, that in determining the excess profits credit for the years 1950 and 1951 and the unused excess profits credit to be carried back from 1952 to 1951 of an affiliated group with one section 445 subsidiary, where there were unrealized profits in 1949 and 1950 resulting from intercompany transactions consisting of sales of tobacco by the parent to its section 445 "new" corporation subsidiary, petitioner is entitled to have included in the parent's assets for 1949 and 1950 the amount of cash paid to the parent by the subsidiary, but the respective equivalent amounts reflected as net…

1Opinion of the Court

Kentucky Farm & Cattle Co. and Subsidiaries, Petitioner, v. Commissioner of Internal Revenue, Respondent

Kentucky Farm & Cattle Co. v. Commissioner

Docket No. 62687

United States Tax Court

30 T.C. 1355; 1958 U.S. Tax Ct. LEXIS 79;

September 30, 1958, Filed

Decision will be entered under Rule 50.

1. Held, that in determining the excess profits credit for the years 1950 and 1951 and the unused excess profits credit to be carried back from 1952 to 1951 of an affiliated group with one section 445 subsidiary, where there were unrealized profits in 1949 and 1950 resulting from intercompany transactions…

2Cases cited10 opinions

  1. Helvering v. TaylorSupreme Court of the United States · 1935
  2. Morton v. Commissioner of Internal RevenueCourt of Appeals for the Seventh Circuit · 1940
  3. Bangor & A. R. Co. v. CommissionerUnited States Tax Court · 1951
  4. Bangor & Aroostook R. Co. v. Commissioner of Internal RevenueCourt of Appeals for the First Circuit · 1951
  5. Leicht v. Commissioner of Internal RevenueCourt of Appeals for the Eighth Circuit · 1943

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