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Higgins v. Commissioner
1959 U.S. Tax Ct. LEXIS 52
Tax Ct.
1959
Check Treatment

Lead Opinion

OPINION.

Fisher, Judge:

The above-entitled cases were consolidated. They involve deficiencies in income tax determined against petitioner for the years and in the amounts following:

Year Deficiency
1953 -$1, 527.11
1954 - 2, 271.28
1955 - 2,428. 99
1956 _ 1, 928. 56
Total- 8,155.94

The. only issue presented is whether ad valorem real estate taxes paid by lessee, United States Steel Corporation, on an iron ore mine are includible in lessor’s gross income for such years as additional rent or royalty and thus part of lessor’s gross income from the property.

All of the facts are stipulated and are included herein by this reference.

Both parties agree that Burt v. United States, 170 F. Supp. 958 (Ct. Cl., 1959), decided adversely to the United States, is “on all fours” with the instant case. Respondent would have us hold that the Court of Claims was in error. We have carefully reviewed Burt v. United States, supra, in the light of the arguments presented by respondent in the instant case. We agree with the reasoning of the Court of Claims in the Burt case, as well as the conclusion reached by that court. We, accordingly, sustain petitioner’s position in the instant case.

Decisions mil be entered under Rule 50.

Case Details

Case Name: Higgins v. Commissioner
Court Name: United States Tax Court
Date Published: Oct 27, 1959
Citation: 1959 U.S. Tax Ct. LEXIS 52
Docket Number: Docket Nos. 72237, 72238
Court Abbreviation: Tax Ct.
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