# Klauber Embroidery Works v. Commissioner

> United States Board of Tax Appeals · April 23, 1928 · 11 B.T.A. 779

URL: https://www.frixlaw.com/law-library/cases/4488112

## Case

- **Full name:** KLAUBER EMBROIDERY WORKS, <emphasis typestyle="it">v.</emphasis> COMMISSIONER OF INTERNAL REVENUE
- **Court:** United States Board of Tax Appeals
- **Decided:** April 23, 1928
- **Citations:** 11 B.T.A. 779; 1928 BTA LEXIS 3724
- **Precedential status:** Published
- **Opinion:** Opinion of the court by Littleton
- **Judges:** Littleton
- **Cited by:** 0 later opinions in the Frix Law Library

## Citator (automated)

- No negative treatment found by the automated citator. That is not the same as a confirmation that the case is good law; read the citing cases.
- Full citator and citing cases: https://www.frixlaw.com/law-library/cases/4488112

## Opinion text

*780 OPINION.
Littleton:
Tile petitioner employed the accrual method of accounting and made its return upon that basis. The State taxes in question became due and were a fixed liability of petitioner on June SO, 1.920, notwithstanding petitioner had until December 10 within which to make payment. Tlie taxes, totaling $1,097.35, constituted a proper deduction from gross income for the fiscal year ending July 31, 1920. The Commissioner’s determination of the deficiency here in question was made within the statutory period of limitations as agreed upon by the petitioner and the Commissioner, and assessment and collection of any deficiency which may be due are not barred by the statute of limitations.
Judgment will he entered on 15 days'1 notice, under Rule 50.

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Source: Frix Law Library, https://www.frixlaw.com/law-library/cases/4488112. Public record. Not legal advice.
