Pursuant to the mandate of the Supreme Court, the original judgment in this case has been vacated and the matter remanded to this court “for further consideration in light of the opinion of the Supreme Court of Oklahoma in Collins v. Oklahoma Tax Commission,”
In Collins v. Oklahoma Tax Commission, the court examined the division of corporate stock herein involved and determined that for purposes of the
state
tax code, the transfer of stock was a nontaxable division of property jointly acquired during marriage. This conclusion was based upon the court’s interpretation of the nature of the interests of the parties in property acquired during marriage. 12 Okl.Stat.
*212
Ann. § 1278 was construed as giving the wife an interest “similar in conception to community property of community property states, and is regarded as held by a species of common ownership.”
As indicated in the former opinion, we read United States v. Davis,
The Commissioner agrees that state law is significant, but argues that a determination of whether the wife’s rights in the transferred property reach the dignity of co-ownership does not depend upon the labels assigned to that interest for state tax purposes. It is contended that when the Court in Davis discussed such factors as right of control, descendable interest, and the like, federal criteria were established that must be met before the rights conferred by state law can be said to constitute co-ownership. The language of Davis will not support that interpretation. The Court merely discussed certain general characteristics of co-ownership in an attempt to determine whether the wife possessed the rights of a co-owner under state law. In so doing, the Court determined that “regardless of the tags, Delaware seems only to place a burden on the husband’s property rather than to make the wife a part owner thereof.”
In sum, we look to the law of the state, as the Supreme Court did in Davis and as this court did in Pulliam v. C. I. R.,
The decision of the Tax Court is reversed.
