Wadsworth v. Commissioner

1 B.T.A. 1043, 1925 BTA LEXIS 2695
United States Board of Tax Appeals·Decided April 25, 1925·No. Docket No. 1982.·Published

Opinion

[1044] DECISION.

The deficiency determined by the Commissioner is allowed in part and disallowed in part. Expenses of traveling and entertainment for the year 1919 should be allowed in the amount of $1,025, and there should be allowed an additional sum of $1,500 on account of the decedent’s trip to Japan in the year 1923.

The Commissioner’s determination with respect to the account of the Meteor Publishing Co., whereby the charging, off of the said account is disallowed for the year 1922 and allowed for the year 1923, is affirmed. The accounts of $963.50 of the Carthage Sulphite Pulp & Paper Co., and $300.04 of the Novoye Ruskoye Slovo, should be allowed as a deduction from income of the decedent for the period in 1923 prior to his death.

. Final determination will be settled on fifteen days’ notice, under Rule 50.

Free access — add to your briefcase to read the full text and ask questions with AI

Wadsworth v. Commissioner, 1 B.T.A. 1043, 1925 BTA LEXIS 2695 (bta 1925).

1 B.T.A. 1043 (Wadsworth v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

Related

Appeal of Wadsworth
1 B.T.A. 1043 (Board of Tax Appeals, 1925)