DocketNumber: No. 248, Docket 22959
Citation Numbers: 213 F.2d 318
Filed Date: 6/4/1954
Status: Precedential
Modified Date: 10/18/2024
Such evidence as there is to indicate that Mrs. Ruscher, as a partner of her husband, owned any part of the assets transferred to the petitioner in exchange for its stock is too inconclusive to show that the Tax Court was in error in treating Mr. Ruscher as the sole transferrer. With this observation, we are content to affirm the decision on the opinion of the Tax Court, 20 T.C. 272.
Affirmed.