Legal Opinion

Robinson v. Commissioner

United States Tax Court

Decided February 28, 1949No. Docket Nos. 14503, 14504Published

The respondent's action in disallowing a deduction from income for 1942 claimed on account of an alleged loss from the transaction involved herein, sustained.

1Opinion of the Court

R. G. Robinson, Petitioner, v. Commissioner of Internal Revenue, Respondent. Martha G. Robinson, Petitioner, v. Commissioner of Internal Revenue, Respondent

Robinson v. Commissioner

Docket Nos. 14503, 14504

United States Tax Court

12 T.C. 246; 1949 U.S. Tax Ct. LEXIS 264;

February 28, 1949, Promulgated

Decisions will be entered for respondent.

The respondent's action in disallowing a deduction from income for 1942 claimed on account of an alleged loss from the transaction involved herein, sustained.

Joseph Barnwell Phelps, Esq., for the petitioners.

Stanley B. Anderson, Esq., for the respondent.

Hill,…

2Cases cited3 opinions

  1. Carpenter v. CommissionerUnited States Tax Court · 1948
  2. Robinson v. CommissionerUnited States Tax Court · 1949
  3. Exchange State Bank v. CommissionerUnited States Tax Court · 1947

Showing a preview — retrieve the full document via the Exa API.

Powered by the Exa API