1 B.T.A. 150

Appeal of YALE KNEELAND.

Docket No. 179.

Submitted October 31, 1924;

decided December 11, 1924.

Herman Aaron, Esq., for the taxpayer.

Robert A. Littleton, Esq. (Nelson T. Hartson, Solicitor of Internal Revenue) for the Commissioner.

Before Ivins, Korner, and Marquette.

*152OPINION.

Marquette:

The facts in this case are practically identical with the facts in Appeal of Ormsby McKnight Mitchel, 1 B. T. A. 143, and it was stipulated by counsel that the decision herein should follow the decision in that case. In accordance with said decision we hold that the taxpayer’s entire distributive share of the net income of the partnership of Power, Son & Co. in the years 1917, 1918, and 1919 should be included in computing his individual net income for those years, and the determination of the Commissioner to that effect is approved.

Appeal of Kneeland
1 B.T.A. 150

Case Details

Name
Appeal of Kneeland
Decision Date
Dec 11, 1924
Citations

1 B.T.A. 150

Jurisdiction
United States

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