Untitled Texas Attorney General Opinion
Texas Attorney General Reports
1Opinion of the Court
. . E ATTORNEY GENERAI. OF TEXAS September 7, 1961 Honorable Robert S. Calvert Opinion No. WW-1134 Comptroller of Public Accounts Capitol Station Re: Deductibility for inheri- Austin, Texas tance tax purposes of administration expenses incurred in connection with the administration of the entire general Dear Mr. Calvert: community estate. You have requested,that we advise you as to whether fees of the executor, administrator, accountant, appraiser and probate court costs should be allowed in full as a deduction for inheri- tance tax purposes upon the death of the first spouse in those cases…
2Cases cited13 opinions
- Estate of Coffee v. RileyCalifornia Supreme Court · 1941
- Richardson v. McCloskeyTexas Supreme Court · 1925
- Goldberg v. ZellnerTexas Commission of Appeals · 1921
- Lang's Estate v. Commissioner of Internal RevenueCourt of Appeals for the Ninth Circuit · 1938
- Lovejoy v. CockrellTexas Commission of Appeals · 1933
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