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Raymond Saltzman v. Commissioner of Internal Revenue
227 F.2d 49
3rd Cir.
1955
Check Treatment
PER CURIAM.

From our own examination we think the Tax Court’s conclusion that the properties in question were held by petitioner primarily for sale to customers in the ordinary course of his trade or business within the meaning of Section 117(a) and (j) of the Internal Revenue Code of 1939, as amended, 26 U.S.C.A. § 117(a, j), is fully justified by the record.

The decision of the Tax Court will be affirmed.

Case Details

Case Name: Raymond Saltzman v. Commissioner of Internal Revenue
Court Name: Court of Appeals for the Third Circuit
Date Published: Nov 1, 1955
Citation: 227 F.2d 49
Docket Number: 11616_1
Court Abbreviation: 3rd Cir.
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