Bauer Bros. Co. v. Commissioner of Internal Revenue
Court of Appeals for the Sixth Circuit
1Opinion of the Court
SIMONS, District Judge.
The petition is filed to review a decision of the United States Board of Tax Appeals redetermining a deficiency in income and excess profits taxes for the year 1918 against the petitioner. The petitioner kept its books, and its income was reported upon an accrual basis. In its return for 1918 it deducted as an expense for that year bonuses allowed to certain officers and employees which were paid in 1919, pursuant to a resolution passed at a meeting of its board of directors in the latter year. This deduction was disallowed by the Commissioner of Internal Revenue as an…
2Cases cited2 opinions
- United States v. AndersonSupreme Court of the United States · 1926
- Lucas v. Ox Fibre Brush Co.Supreme Court of the United States · 1930
3Cited by34 opinions
- United States v. St. Paul Mercury Indemnity Company, a CorporationCourt of Appeals for the Eighth Circuit · 1956
- Patrick McGuirl, Inc. v. Commissioner of Internal Rev.Court of Appeals for the Second Circuit · 1935
- E. H. Sheldon & Co. v. Commissioner of Internal RevenueCourt of Appeals for the Sixth Circuit · 1954
- Cravens v. CommissionerUnited States Tax Court · 1958
- Drearr v. Connecticut General Life Insurance Co.Louisiana Court of Appeal · 1960
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