Green v. Commissioner
Court of Appeals for the Sixth Circuit
1Per curiam
This case came on to be heard on the record and briefs and oral argument of counsel.
And it appearing that the petitioner created two trusts for the benefit of his wife and minor son respectively, under which, as settlor-trustee, petitioner retained broad managerial powers ov.er the trust, including the right to deal with himself as an individual with respect to the trust properties, which right he exercised extensively;
And it appearing that the decision of the Tax Court holding the petitioner taxable as an individual on the income of such trusts is correct; Helvering v. Clifford, 309 U.S.…
2Cases cited3 opinions
- Helvering v. CliffordSupreme Court of the United States · 1940
- Miller v. Commissioner of Internal RevenueCourt of Appeals for the Sixth Circuit · 1945
- Shapero v. Commissioner of Internal RevenueCourt of Appeals for the Sixth Circuit · 1948
3Cited by19 opinions
- Romine v. Comm'rUnited States Tax Court · 1956
- Hatch v. Commissioner of Internal RevenueCourt of Appeals for the Second Circuit · 1951
- Ratto v. CommissionerUnited States Tax Court · 1953
- Harlan v. Comm'rUnited States Tax Court · 2001
- Darlington v. CommissionerUnited States Tax Court · 1961
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