Legal Opinion

Greenbaum v. Commissioner

United States Tax Court

Decided April 29, 1987No. Docket No. 7898-84UnpublishedCited by 8 opinions

1Opinion of the Court

LENNARD D. GREENBAUM and MARGERY E. GREENBAUM, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent

Greenbaum v. Commissioner

Docket No. 7898-84.

United States Tax Court

T.C. Memo 1987-222; 1987 Tax Ct. Memo LEXIS 216; 53 T.C.M. (CCH) 708; T.C.M. (RIA) 87222;

April 29, 1987.

Edward I. Sussman, for the petitioners.

Brian Masumoto, for the respondent.

PARR

MEMORANDUM FINDINGS OF FACT AND OPINION

PARR, Judge: Respondent determined deficiencies in petitioners' 1978 and 1979 Federal income tax of $26,992.15 and $185.00, respectively. By amendment to answer, respondent also seeks increased interest…

2Cases cited34 opinions

  1. Frank Lyon Co. v. United StatesSupreme Court of the United States · 1978
  2. Commissioner v. Lincoln Savings & Loan Ass'nSupreme Court of the United States · 1971
  3. Rice's Toyota World, Inc. (Formerly Rice Auto Sales, Inc.) v. Commissioner of Internal RevenueCourt of Appeals for the Fourth Circuit · 1985
  4. Grodt & McKay Realty, Inc. v. CommissionerUnited States Tax Court · 1981
  5. Surloff v. CommissionerUnited States Tax Court · 1983

29 more not listed; retrieve them via the Exa API.

3Cited by8 opinions

  1. John Hancock Life Ins. Co. (U.S.A.) v. Comm'rUnited States Tax Court · 2013
  2. Fitch v. Comm'rUnited States Tax Court · 2012
  3. John Hancock Life Ins. Co. (U.S.A.) v. Comm'rUnited States Tax Court · 2013
  4. John Hancock Life Insurance Company (U.S.A.), as Successor in Interest to John Hancock Life Insurance Company v. CommissionerUnited States Tax Court · 2013
  5. John Hancock Life Insurance Company (U.S.A.), as Successor in Interest to John Hancock Life Insurance Company v. CommissionerUnited States Tax Court · 2013

3 more not listed; retrieve them via the Exa API.

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