15 B.T.A. 804 | B.T.A. | 1929
Lead Opinion
The petitioners in each of these two proceedings raise only the question of the amount of taxable gain derived from the sale of certain stock of the Keeley-Neckerman Co. While the petitioners raised issues with respect to the value of this stock on certain dates, those issues have been disposed of by stipulation, leaving for consideration only the question which arises by reason of the action of the Commissioner in following section 202 (a) (2) of the Kevenue Act of 1921, which provided that the basis for ascertaining the gain derived or loss sustained froúi a sale of property shall, in the case of property acquired by gift after December 31,1920, be the same as that which it would have been in the hands of the donor. In' these proceedings it appears that each of these petitioners received 300 shares of the stock in question after December 31, 1920, and
The deficiencies should be recomputed in accordance with that decision and upon the basis of the costs and values set out in the findings of fact.
Decision will he entered under Rule 50.