Joseph Henry Moore and Mary Ophelia Dunn Moore v. Commissioner of Internal Revenue
489 F.2d 285
5th Cir.1973Check Treatment
This appeal from the Tax Court pinpoint the single issue: Did the mobile homes owned by the taxpayers constitute “tangible personal property” within the meaning of 26 U.S.C., § 179? The Tax Court decided in the affirmative. We affirm. See Minot Federal Savings & Loan Association v. United States, 8 Cir., 1970,
Affirmed.