Appeal of Stimpson Computing Scale Co.

5 B.T.A. 669
United States Board of Tax Appeals·Decided November 29, 1926·No. Docket No. 2722·Published·Cited by 1 cases

Opinion

[670] OPINION.

Marquette:

In Appeal of Butlers Warehouses, Inc., 1 B. T. A. 851, and Appeal of Crowell & Little Construction Co., 3 B. T. A. 829, the Board held that net losses sustained under the circumstances set forth in the findings of fact were not properly deductible from the income of the following year. We find no sufficient reason to change the decisions therein made, and on the authority of those appeals the action of the Commissioner in disallowing such deductions must be sustained.

The deficiency for the year 1920 is $1^19,08. Order will he entered accordingly.

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Appeal of Stimpson Computing Scale Co., 5 B.T.A. 669 (bta 1926).

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Related

Stimpson Computing Scale Co. v. Commissioner
5 B.T.A. 669 (Board of Tax Appeals, 1926)