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143 T.C. 157 · United States Tax Court · Sep 15, 2014
See Callahan v. … We interpret statutes ‘‘ ‘in their context and with a view to their place in the overall statutory scheme.’ ’’ FDA v. Brown & Williamson Tobacco Corp., 529 U.S. 120, 133 (2000) (quoting Davis v. Mich.
Cited 13 timesPublished60 T.C. 133 · United States Tax Court · Apr 25, 1973
Brooks v. United States, 473 F. 2d 829, 831 (C.A. 6, 1973). … See and compare, e.g., Prince v. United States, 127 Ct. Cl. 612, 614-615 , 119 F. Supp. 421, 422 (1954); McNair v. Commissioner, 250 F. 2d 147, 150 (C.A. 4, 1957), reversing 26 T.C. 1221 (1956); Freeman v.
Cited 14 timesPublished78 T.C. 215 · United States Tax Court · Feb 8, 1982
Brown and Mrs. Barbara J. Brown MKSAC/KKMAC Box 3354 APO New York, New York 09615 By letter dated February 15, 1980, petitioner Henry M. … Brown Henry M. Brown hmb/ All future correspondence should be directed to our Saudi Address Henry M.
Cited 74 timesPublished1 T.C. 225 · United States Tax Court · Dec 9, 1942
Radford_ 10.14 7.86 Inez Hereford Brown_ 10.14 7.86 * * * * * * * Thereafter, on March 24,1939, stipulations of gift tax deficiencies for the two years were filed with the Board in pursuance of said agreement and the Board … Colston v. Burnet, 59 Fed. (2d) 867, affirming 21 B. T. A. 396; Automatic Sprinkler Co. of America, 27 B. T. A. 160; Helen B. Sulzberger, 33 B. T. A. 1093; William H. Simon, 36 B. T. A. 184; Chester A.
Cited 10 timesPublished48 T.C. 42 · United States Tax Court · Apr 19, 1967
Petitioner and Norma Peene Brown were married in 1957, separated in November 1961, and divorced on February 21,1962. … As a consequence, Commissioner v. Mendel, 351 F. 2d 580 (C.A. 4, 1965), reversing 41 T.C. 32 (1963), so heavily relied on by petitioner, is clearly distinguishable. Cf. Edward J. Pillis, 47 T.C. 707 (1967).
Cited 36 timesPublished85 T.C. 968 · United States Tax Court · Dec 18, 1985
In Falsetti v. … In Oneal v.
Abrogated on other grounds by Ivan K. Landreth Lucille Landreth v. Commissioner Internal Revenue Service, 859 F.2d 643 (1988)Cited 92 timesPublished37 T.C. 461 · United States Tax Court · Dec 19, 1961
Also, the amount per thousand feet used in determining adjusted values was $8.20 per thousand board feet whereas Clay Brown & Company had received an independent appraisal as of May 1,1952, of $9 per thousand board feet. … Helvering, 293 U.S. 465 (1935); Higgins v. Smith, 308 U.S. 473 (1940); Griffiths v. Helvering, 308 U.S. 355 (1939); and Burnet v. Harmel, 287 U.S. 103 (1932).
Cited 27 timesPublished12 T.C. 1095 · United States Tax Court · Jun 21, 1949
Johnson v. Commissioner, 86 Fed. (2d) 710, affirming 33 B. T. A. 1003. Neither the mechanics employed nor the legal designations, i. e., “rents” and/or “royalties,” are controlling. … Manning v. Gagne, 27 Fed. Supp. 286; affd., 108 Fed. (2d) 718; Smith v. Hoey (unreported officially, Dis. Ct. N. Y.), 34 A. F. T. R. 1704; affd., 153 Fed. (2d) 846; Percy C. Madeira, 36 B. T.
Reversed by Brown v. Commissioner of Internal Revenue (Two Cases), 180 F.2d 926 (1950)Cited 20 timesPublished50 T.C. 865 · United States Tax Court · Sep 16, 1968
Douglas v. Willcuts, 296 U.S. 1 (1935); Helvering v. Fitch, 309 U.S. 149 (1940); Commissioner v. Lester, 366 U.S. 299 (1961). … In Foster v.
Cited 27 timesPublished47 T.C. 399 · United States Tax Court · Jan 18, 1967
Brown, was an active member of the Memphis local council 74 of ALPA. Brown was an apprentice member of such council. … In Commissioner v.
Cited 29 timesPublished51 T.C. 116 · United States Tax Court · Oct 22, 1968
In formulating a standard of duress applicable in Federal tax controversies, the Court of Appeals in Furnish v. … Thurston Brown are still outstanding and collectable from his real or personal property. Thus respondent is not left without recourse against E. Thurston Brown.
Cited 44 timesPublished27 T.C. 27 · United States Tax Court · Oct 18, 1956
Sun Properties, Inc. v. United States, 220 F. 2d 171 ; Marjory Taylor Hardwick, 33 B. T. A. 249; W. A. Hoult, 23 B. T. A. 804. … Sun Properties, Inc. v. United States, supra, is directly in point here. There, the taxpayer corporation was formed by its sole stockholder on August 25, 1947.
Cited 17 timesPublished25 T.C. 220 · United States Tax Court · Oct 31, 1955
. * * * However, in Waller v. United States, 180 F. 2d 194 , the Court of Appeals for the District of Columbia in considering disability payments received, under the Public Health Service Act, disallowed the exemption. … The injury, which is described in the official report as a turned ankle, occurred 20 years prior to Brown’s retirement, and during such, period he continued to serve as a walking policeman.
Cited 10 timesPublished40 T.C. 861 · United States Tax Court · Aug 16, 1963
Brown (hereinafter sometimes referred to as petitioner) and Sydney N. Brown are husband and wife residing in Ridgeland, S.C. … Brown, by signing this agreement hereby resigns from the Board of Directors of United American Life Insurance Company and United American Investment Company, as a member of the Executive and Finance Committees of the United
Cited 17 timesPublished22 T.C. 147 · United States Tax Court · Apr 27, 1954
Raybestos-Manhattan, Inc. v. United States, 296 U. S. 60, 64 . See also Helvering v. Horst, 311 U. … S. 1 ; Helvering v. American Chicle Co., 291 U. S. 426 ; Old Colony Trust Co. v. Commissioner, supra; United States v. Boston & Maine Railroad, supra; United States v. Hendler, 303 U. S. 564 ; Douglas v.
Cited 7 timesPublished23 T.C. 156 · United States Tax Court · Oct 29, 1954
In Commissioner v. Highway Trailer Co., 72 F. 2d 913 , certiorari denied 293 U. S. 626 , rehearing denied 294 U. … We think that this does not conflict with the rule of the Huff Case, supra [Burnet v. Huff, 288 U.
Cited 4 timesPublished30 T.C. 831 · United States Tax Court · Jun 30, 1958
Mayherry v. Carey, 268 Mass. 255 , 167 N. E. 281 ; Dumaine v. Dumaine, supra; Sears v. Childs, 309 Mass. 337 , 35 N. E. 2d 663 . … Offut v. Offut, 204 Md. 101 , 102 A. 2d 554, 558 (1954). Restatement, Trusts, sec. 187, which was cited with approval by the court in Offut v.
Cited 10 timesPublished73 T.C. 156 · United States Tax Court · Oct 24, 1979
The taxpayer who has been working part time is offered a position involving full-time employment which she can accept only if the child is placed in a boarding school. … The taxpayer accepts the position, and the child is sent to a boarding school.
Cited 3 timesPublished62 T.C. 551 · United States Tax Court · Jul 30, 1974
Donnelly v. Commissioner, 262 F. 2d 411, 413 (C.A. 2, 1959), affirming 28 T.C. 1278 (1957). See also John J. Thoene, 33 T.C. 62 (1959). … The United States Court of Appeals for the District of Columbia in Founding Church of Scientology v.
Cited 7 timesPublished
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