Hudson Engineering Corporation v. Commissioner of Internal Revenue. Commissioner of Internal Revenue v. Hudson
Court of Appeals for the Fifth Circuit
1Per curiam
Upon consideration of the record, the briefs and the oral argument, it appears that the Tax Court by its findings of fact and opinion correctly adjudged Hudson Engineering Corporation was required to accrue additional income in the taxable year, and that Edward J. Hudson possessed an economic interest in the specified minerals in place which entitled him to a deduction for depletion. 11 T.C. 1042.
The determinations of the Tax Court are
Affirmed.
2Cited by28 opinions
- Morrisdale Coal Mining Co. v. CommissionerUnited States Tax Court · 1952
- Boston Elevated Railway Co. v. CommissionerUnited States Tax Court · 1951
- The Denver & Rio Grande Western Railroad Company, a Corporation v. The United StatesUnited States Court of Claims · 1963
- Scofield v. La Gloria Oil & Gas Co.Court of Appeals for the Fifth Circuit · 1959
- C. H. Leavell & Co. v. CommissionerUnited States Tax Court · 1969
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