Irby Construction Co. v. United States
United States Court of Claims
1Opinion of the CourtJones, Chief Judge
Plaintiff is a small, family-owned corporation. In 1953 and 1954, the plaintiff paid some $300,000 in compensation to its managing executives. For Federal income tax purposes it deducted this amount from gross income as an ordinary and necessary expense of carrying on the business. The Commissioner of Internal Revenue disallowed the deductions as being unreasonable allowances for personal service compensation and assessed deficiencies for both years. The plaintiff paid the additional assessment under protest and now sues for a refund of such payments.
The facts have been set out in detail in…
2Cases cited7 opinions
- Klamath Medical Service Bureau v. Commissioner of Internal RevenueCourt of Appeals for the Ninth Circuit · 1959
- Consolidated Apparel Co. v. CommissionerUnited States Tax Court · 1952
- Consolidated Apparel Co. v. Commissioner of Internal RevenueCourt of Appeals for the Seventh Circuit · 1953
- Ticket Office Equipment Co. v. CommissionerUnited States Tax Court · 1953
- Stiening v. Commissioner of Internal RevenueCourt of Appeals for the Third Circuit · 1945
2 more not listed; retrieve them via the Exa API.
3Cited by9 opinions
- Northlich, Stolley, Inc. v. The United StatesUnited States Court of Claims · 1966
- Jones Brothers Bakery, Inc. v. The United StatesUnited States Court of Claims · 1969
- Arthur K. Whitcomb and Lena R. Whitcomb, Arthur Whitcomb, Inc. And Subsidiaries v. Commissioner of Internal RevenueCourt of Appeals for the First Circuit · 1984
- Griffin & Company Inc. v. The United States. Griffin Industries, Inc. v. The United StatesUnited States Court of Claims · 1968
- Bringwald, Inc. v. The United StatesUnited States Court of Claims · 1964
4 more not listed; retrieve them via the Exa API.