Opinion

Diamond A Cattle Co. v. Commissioner

  • 21 T.C. 1
  • 1953 U.S. Tax Ct. LEXIS 52
Court
United States Tax Court
Filed
Oct 9, 1953
Status
Published
Author
Black
On the bench
Rice,Rice
Cited by
15 cases

The opinion

Black, J., concurring in part in Judge Rice’s dissent: I concur in Judge Rice’s dissenting opinion in so far as it dissents from the majority opinion which denies petitioner the right to carry back its net operating loss for 1945 to 1943, and also denies petitioner’s right to carry back its unused excess profits credit in 1945 to 1943. It seems to me that under the language of the applicable statutes which govern these matters the petitioner has the right to carry back its net operating loss in 1945 to reduce taxable income for 1943, and has the right to carry back its unused excess profits credit in 1945 to 1943 and thereby reduce its excess profits tax liability for 1943.

I join with Judge Rice in dissenting from the conclusion reached by the majority opinion on these two points.

This is a copy of a public record, reproduced as it was published. It is not legal advice, and it may not be the version a court would rely on. Check the official source before you cite it.

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