Weil v. Commissioner of Internal Revenue

83 F.2d 173, 17 A.F.T.R. (P-H) 937, 1936 U.S. App. LEXIS 2475
Procedural entryThis page is a short order in Weil v. Commissioner of Internal Revenue. Read the opinion of the Court — 91 F.2d 944
Court of Appeals for the Second Circuit·Decided April 20, 1936·No. No. 255·Published

Opinion

SWAN, Circuit Judge.

The petitioner filed his income tax return for the calendar year 1932. He was a partner in a law firm which Had a fiscal year ending January 31st. Hence eleven-twelfths of the partnership income distributable to him in 1932 was attributable to the year 1931, and one-twelfth to the year 1932. Article 903, Regulations 77. Section 182 of the Revenue Act of 1932, which is printed in the margin,

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Weil v. Commissioner of Internal Revenue, 83 F.2d 173, 17 A.F.T.R. (P-H) 937, 1936 U.S. App. LEXIS 2475 (2d Cir. 1936).

83 F.2d 173 (Weil v. Commissioner of Internal Revenue) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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Shearer v. Burnet
285 U.S. 228 (Supreme Court, 1932)