DocketNumber: Docket No. 1976.
Filed Date: 12/15/1943
Status: Non-Precedential
Modified Date: 11/20/2020
Memorandum Opinion
MURDOCK, Judge: The Commissioner determined deficiencies in income tax as follows:
1934 | $ 778.45 |
1935 | 658.14 |
1936 | 1,104.61 |
1937 | 992.84 |
1938 | 340.16 |
1939 | 441.84 |
1940 | 523.64 |
1941 | 785.13 |
The only adjustment made by the Commissioner which the petitioner contests, is the increase in profits from sales of burial lots resulting from the use of $.094 per square foot as the fair market value on March 1, 1913 of the lots sold in each taxable year. The Commissioner used that value for each year and explained in the notice of deficiencies that he had done so because that March 1, 1913 value had been determined for the petitioner's cemetery lots in its prior proceeding before the Board of Tax Appeals involving preceding years, and also because he thought it was the actual value.
The petitioner claims the right to use March 1, 1913 value instead of cost but wants to prove that the actual value on March 1, 1913 of its cemetery lots was $.749, the average price at which the lots were selling on March 1, 1913. It alleges that*28 the Commissioner has used the same value as was found by the Board in the prior proceeding but states in its pleadings that the issue is not
The respondent alleges that the issue here, March 1, 1913 value of the petitioner's cemetery lots, is
We must assume that the petitioner has not been able to think of any arguments or authorities in opposition to the motion. None occur to us and, although the matter is presented sketchily, we fail to see how the petitioner can succeed in this proceeding. The issue seems to be
*. BTA decision subsequently affirmed by CCA-2,