Appeal of Keir
This text of 4 B.T.A. 41 (Appeal of Keir) is published on Counsel Stack Legal Research, covering United States Board of Tax Appeals primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.
Opinion
BINDINGS OB BAOT.
The taxpayer is an individual and a citizen of the United States residing in Canada.
In the year 1923 he filed an income-tax return with the Canadian Government with respect to income received during the year 1922. Likewise, in 1923, a return of income for the calendar year 1922 was filed in the United States, upon which the taxpayer claimed a credit for income and profits taxes paid to foreign countries (Dominion of Canada) in the amount of $107.10, representing the tax upon [42]*42income of 1922 levied by the Dominion of Canada upon the taxpayer for that year and paid to the Canadian Government in the year 1923.
The Commissioner disallowed the above claim.
The taxpayer kept his books and made his return for the year 1922 on the basis of cash receipts and disbursements.
The de'ficiency for the year 19%% is $85.9%. Order will he entered accordingly.
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4 B.T.A. 41, Counsel Stack Legal Research, https://law.counselstack.com/opinion/appeal-of-keir-bta-1926.