DocketNumber: Docket No. 1260
Citation Numbers: 1 B.T.A. 901
Judges: Graupner, Lansdon, Littleton, Smith
Filed Date: 3/25/1925
Status: Precedential
Modified Date: 10/18/2024
The taxpayer contends that the situation presented for our consideration is a simple one, consisting only of a purchase of
Before March 30, 1918, the taxpayer owned directly, or controlled, all of the stock of the Company, and, therefore, the Company was an affiliated subsidiary of the taxpayer. The liquidation of the Company did not in any way produce a loss which the taxpayer would be allowed to deduct under section 234 (a) of the Revenue Act of 1918.