Abilene Life Ins. v. Commissioner
Court of Appeals for the Fifth Circuit
1Opinion of the Court
WALLER, Circuit Judge.
The issues, contentions, and proceedings here are practically identical with the issues, contentions, and proceedings in the case of General Life Insurance Co. v. Commissioner of Internal Revenue, 5 Cir., 137 F.2d 185, and is governed by the decision in the latter case, rendered July 8, 1943. We hold that, for federal income tax purposes, Petitioner is a life insurance company within the purview of Secs. 201(a) and 202(b) of Internal Revenue Code, 26 U.S.C.A. Int.Rev.Code, §§ 201(a), 202(b), and that Petitioner is not a Benevolent Life Insurance Association of a purely…
2Cases cited1 opinion
- General Life Ins. v. CommissionerCourt of Appeals for the Fifth Circuit · 1943
3Cited by2 opinions
- Independent Life & Accident Ins. Co. v. Commissioner of Internal RevenueCourt of Appeals for the Fifth Circuit · 1943
- Jones v. Oklahoma Ben. Life Ass'nCourt of Appeals for the Tenth Circuit · 1945