Legal Opinion

Crigler v. Comm'r

United States Tax Court

Decided March 28, 2003No. 9233-99UnpublishedCited by 6 opinions

1Opinion of the Court

T.P. AND NAJIEH R. CRIGLER, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent

Crigler v. Comm'r

No. 9233-99

United States Tax Court

T.C. Memo 2003-93; 2003 Tax Ct. Memo LEXIS 93; 85 T.C.M. (CCH) 1091; T.C.M. (RIA) 55101;

March 28, 2003, Filed

Court held that petitioners may not deduct ordinary loss of $ 100,000 for loss in value of petitioner's FabuGlass stock in 1995. Court held that petitioners were liable for accuracy-related penalty for negligence for 1995. Judgment entered for respondent.

T.P. Crigler, pro se.

James R. Rich, for respondent.

Colvin, John O.

COLVIN

MEMORANDUM FINDINGS OF…

2Cases cited8 opinions

  1. Neonatology Assocs., P.A. v. Comm'rUnited States Tax Court · 2000
  2. Walter H. Kaltreider and Irene C. Kaltreider v. Commissioner of Internal RevenueCourt of Appeals for the Third Circuit · 1958
  3. Kaltreider v. CommissionerUnited States Tax Court · 1957
  4. Fred M. Waring and Virginia Waring v. Commissioner of Internal RevenueCourt of Appeals for the Third Circuit · 1969
  5. Lare v. CommissionerUnited States Tax Court · 1974

3 more not listed; retrieve them via the Exa API.

3Cited by6 opinions

  1. Mendes v. Comm'rUnited States Tax Court · 2003
  2. Route 231, LLC v. Comm'rUnited States Tax Court · 2014
  3. Fortunato J. Mendes v. CommissionerUnited States Tax Court · 2003
  4. Garfield v. CommissionerCourt of Appeals for the Second Circuit · 2008
  5. Mendes v. Comm'rUnited States Tax Court · 2003

1 more not listed; retrieve them via the Exa API.

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