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Atlantic C. L. R. Co. v. Commissioner
1931 BTA LEXIS 1799
B.T.A.
1931
Check Treatment

Lead Opinion

*889OPINION.

Goodeich :

The issue here involved is clearly controlled by our prior decisions in the cases of Chicago, Rock Island & Pacific Railway Co., 13 B. T. A. 988; affd., 47 Fed. (2d) 990; and Charleston & Western Carolina Railway Co., 17 B. T. A. 569; affirmed by the Court of Appeals, District of Columbia, May 4, 1931. We hold *890therefore that respondent was not in error in including in petitioner’s taxable income for the year 1923 the sum of $58,498.64, representing unclaimed wages credited in that year to petitioner’s profit and loss account and previously allowed as a part of its operating expenses during the years in which said wage claims accrued. We find the correct deficiency for the year 1923 to be $41,795.08, of which the unpaid balance is $4,448.37.

In accordance with the stipulation entered into between the parties herein we find that on March 29, 1928, petitioner overpaid its income-tax liability for the year 1922 in the amount of $2,630.33, consisting of tax in the amount of $2,059.64, and interest thereon in the amount'of $570.69.

Judgment will be entered in accordance herewith.

Case Details

Case Name: Atlantic C. L. R. Co. v. Commissioner
Court Name: United States Board of Tax Appeals
Date Published: Jun 29, 1931
Citation: 1931 BTA LEXIS 1799
Docket Number: Docket No. 35607.
Court Abbreviation: B.T.A.
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