Legal Opinion

Weyl-Zuckerman & Company v. Commissioner of Internal Revenue

Court of Appeals for the Ninth Circuit

Decided March 27, 1956No. 14785_1PublishedCited by 21 opinions

1Per curiam

This is a petition to review a decision of the Tax Court reported at 23 T.C. 841 which sets forth the salient facts in the case. The decision turns upon that court’s finding and conclusion as to the purpose and effect of a series of transactions whereby the petitioner corporation, which held certain lands, conveyed those lands together with the mineral rights thereunder to its wholly owned subsidiary at its original cost. This transfer which occurred on June 27, 1946, was by standard form of bargain and sale deed. At that time the mineral rights under the land had a zero basis to petitioner.…

2Cases cited2 opinions

  1. Grace Bros. v. Commissioner of Internal RevenueCourt of Appeals for the Ninth Circuit · 1949
  2. United States v. FotopulosCourt of Appeals for the Ninth Circuit · 1950

3Cited by21 opinions

  1. Bixby v. CommissionerUnited States Tax Court · 1972
  2. Goodstein v. CommissionerUnited States Tax Court · 1958
  3. Professional Services v. CommissionerUnited States Tax Court · 1982
  4. John C. Ford v. Commissioner of Internal RevenueCourt of Appeals for the Ninth Circuit · 1973
  5. Joe Goldstein and Lillian Goldstein v. Commissioner of Internal RevenueCourt of Appeals for the Ninth Circuit · 1962

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