Lindsey v. Commissioner

194 F.2d 288
Court of Appeals for the Ninth Circuit·Decided February 20, 1952·No. Nos. 12959, 12970, 12971·Published

Opinion

PER CURIAM.

In these cases, following our decision in 9 Cir., 183 F.2d 758, the Tax Court made findings, filed an opinion, 16 T.C. 41, and entered decisions determining that there were deficiencies in respect of the income tax of C. Abbott Lindsey for 1944 and 1945 in the respective amounts of $2,041.07 and [289]*289$2,867.32; that there were like deficiencies in respect of the income tax of Pauline Lindsey for 1944 and 1945; that there was an overpayment of the income tax of Eleanore Langer for 1944 in the amount of $2,785.38; and that there was an overpayment of the income tax of R. L. Langer for 1944 in the amount of $2,762.46. These decisions of the Tax Court are affirmed on the grounds and for the reasons stated in its opinion.

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Lindsey v. Commissioner, 194 F.2d 288 (9th Cir. 1952).

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Related

Langer's Estate v. Commissioner of Internal Revenue
183 F.2d 758 (Ninth Circuit, 1950)
Langer v. Commissioner
16 T.C. 41 (U.S. Tax Court, 1951)