Gates Rubber Company, and Subsidiaries v. Commissioner of Internal RevenueGates Rubber Company, and Subsidiaries v. Commissioner of Internal Revenue
Versions:694 F.2d 64851 A.F.T.R.2d (RIA) 6281982 U.S. App. LEXIS 23620
In this appeal we are asked to decide whether the costs of drilling offshore exploratory oil and gas wells from mobile rigs are deductible in the year in which they are incurred as “intangible drilling and development costs” under 26 U.S.C. § 263(c) and Treas.Reg. § 1.612-4(a) (“the IDC option”). The Tax Court,
All parties agree that the issue in this case is identical with the prior consideration of this issue by the Third Circuit in
Sun Co. v. Commissioner,
AFFIRMED.