Otis A. Kittle v. Commissioner of Internal Revenue
Court of Appeals for the Ninth Circuit
1Per curiam
This is a petition to review a decision of the Tax Court holding that amounts received by the petitioner in 1947 as payments under a lease of iron ore lands were royalties, taxable as ordinary income. The petitioner contends that the amounts received constituted capital gains from the sale of the minerals in place.
The decision of the Tax Court entered January 28, 1954, in this case, ordering and deciding that there is an overpayment for 1945 shall be modified by the addition of the following: ‘and that such portion of the tax was paid after the mailing of the notice of deficiency. Section…
2Cases cited1 opinion
- Kittle v. CommissionerUnited States Tax Court · 1953
3Cited by18 opinions
- William Louis Albritton v. Commissioner of Internal RevenueCourt of Appeals for the Fifth Circuit · 1957
- Walter R. Laudenslager and Marguerite Laudenslager v. Commissioner of Internal RevenueCourt of Appeals for the Third Circuit · 1962
- Del Freund and Maryetta Freund v. United StatesCourt of Appeals for the Seventh Circuit · 1966
- Green v. CommissionerUnited States Tax Court · 1961
- Deskins v. CommissionerUnited States Tax Court · 1986
13 more not listed; retrieve them via the Exa API.