DocketNumber: Docket No. 555
Judges: Ivins, Korner, Marquette
Filed Date: 2/26/1925
Status: Precedential
Modified Date: 10/18/2024
The taxpayer and the Chicago Electric Lamp Co. were affiliated corporations entitled to file a consolidated return for 1919 under section 240 of the Bevenue Act of 1918.
The taxpayer was not entitled to include in invested capital the item of $45,064.63 claimed by it as paid-in surplus.
The tax should be recomputed in accordance with the foregoing. Final determination will be settled upon ten days’ notice in accordance with Buie 50.