History
  • No items yet
midpage
Lawrence Y. S. Au and Wrona K. H. Au v. Commissioner of Internal Revenue
330 F.2d 1008
9th Cir.
1964
Check Treatment

330 F.2d 1008

Lawrence Y. S. AU and Wrona K. H. Au, Petitioners,
v.
COMMISSIONER OF INTERNAL REVENUE, Respondent.

No. 18910.

United States Court of Appeals Ninth Circuit.

April 24, 1964.

Rehearing Denied June 8, 1964.

Lawrence Y. S. Au, Honolulu, Hawaii, in pro. per. for appellant.

Louis F. Oberdorfer, Asst. Atty. Gen., Lee A. Jackson, David O. Walter, Stephen B. Wolfberg, and Herbert Goodwin, Attys., Dept. of Justice, Washington, D. C., for appellee.

Before CHAMBERS, KOELSCH and BROWNING, Circuit Judges.

PER CURIAM.

1

The Tax Court held that the basis for depreciation of a nonbusiness property which the taxpayers transferred to a business partnership as part of their contribution was the fair market value of such property at the time of such transaction (40 T.C. 264). This conclusion finds support in and is consistent with the doctrine implied in Helvering v. Owens, 305 U.S. 468, 59 S. Ct. 260, 83 L. Ed. 292 (1939).

2

The judgment of the Tax Court in determining a deficiency is affirmed.

Case Details

Case Name: Lawrence Y. S. Au and Wrona K. H. Au v. Commissioner of Internal Revenue
Court Name: Court of Appeals for the Ninth Circuit
Date Published: Jun 8, 1964
Citation: 330 F.2d 1008
Docket Number: 18910_1
Court Abbreviation: 9th Cir.
AI-generated responses must be verified and are not legal advice.
Your Notebook is empty. To add cases, bookmark them from your search, or select Add Cases to extract citations from a PDF or a block of text.