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S. L. MCDOWELL, PETITIONER,
v. COMMISSIONER OF INTERNAL REVENUE, RESPONDENT.MRS. S. L. MCDOWELL, PETITIONER,v. COMMISSIONER OF INTERNAL REVENUE, RESPONDENT.McDowell v. CommissionerDocket Nos. 11271, 11272.United States Board of Tax Appeals 15 B.T.A. 947; 1929 BTA LEXIS 2769;March 18, 1929, Promulgated *2769Harry C. Weeks, Esq., for the petitioners.Shelby Faulkner, Esq., for the respondent.GREEN*947 OPINION.
GREEN: In these proceedings the petitioners seek a redetermination of their income-tax liabilities for the year 1920, for which the respondent has determined deficiencies as follows:
S. L. McDowell $140.49 Mrs. S. L. McDowell 235.94 The sole issue is the determination of the petitioners' one-twentieth distributive share of the net income of the partnership of Norton & Cline for the year 1920. The respondent determined this to be $28,952.98 on the basis of a net income of the partnership of $579,059.60.
At the hearing, it was agreed and stipulated by and between the parties that all of the evidence introduced in the cases of
Ella *948Pipes Cline andW. D. Cline, Docket Nos. 6929 and 6930, with respect to the partnership of Norton & Cline, be considered as introduced in these proceedings and that the Board's determination of the net income of Norton & Cline for the year 1920 should govern here.In the
Cline cases,supra, we determined that the net income of the partnership of Norton & Cline*2770 for the year 1920 was $348,275.35. We now determine that the petitioners' one-twentieth distributive share of such net income is $17,413.77.Judgment will be entered under Rule 50.
Document Info
Docket Number: Docket Nos. 11271, 11272.
Citation Numbers: 15 B.T.A. 947, 1929 BTA LEXIS 2769
Judges: Green
Filed Date: 3/18/1929
Precedential Status: Precedential
Modified Date: 11/2/2024