Commissioner of Internal Revenue v. Hoffman
Court of Appeals for the Second Circuit
1Per curiam
The commissioner seeks reversal of a decision of the Board holding that under section 23(e) (2) of the Revenue Act of 1934, 26 U.S.C.A. Int.Rev.Code, § 23(e) (2), the taxpayers were entitled to deduct from gross income a loss sustained in 1934, when the interest in improved real estate owned by them subject to a mortgage upon which they had not assumed liability, became worthless and they abandoned their interest and so advised the mortgagee, although title remained in them until completion of foreclosure proceedings in the following year. 40 B.T.A. 459. Upon amply sufficient evidence the…
2Cases cited4 opinions
- Rhodes v. CommissionerCourt of Appeals for the Sixth Circuit · 1939
- Denman v. BrumbackCourt of Appeals for the Sixth Circuit · 1932
- Hoffman v. CommissionerUnited States Board of Tax Appeals · 1939
- Wieboldt v. CommissionerCourt of Appeals for the Seventh Circuit · 1940
3Cited by27 opinions
- Parker v. DelaneyCourt of Appeals for the First Circuit · 1950
- Freeland v. CommissionerUnited States Tax Court · 1980
- A. J. Industries, Inc. v. United StatesCourt of Appeals for the Ninth Circuit · 1974
- Commissioner of Internal Revenue v. McCarthyCourt of Appeals for the Seventh Circuit · 1942
- Middleton v. CommissionerUnited States Tax Court · 1981
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