155 F.2d 319 | 1st Cir. | 1946
In September of 1936 the taxpayer was asked to give aid to the Portland Evening News, a struggling newspaper. He became President of the Maine Publishing Corporation, the publisher of the paper, and during the fifteen months following Sep
In his income tax return for 1941, the taxpayer claimed a deduction of $3,500 of his advances to the corporation as a bad debt. His determination of that amount was arbitrary and was not based on any method of calculation. The Commissioner denied the deduction on the ground that the taxpayer failed to show that the debt had become worthless in 1941. The Tax Court upheld the Commissioner’s decision. The taxpayer has filed a petition for review in this court.
This case is governed by § 23 (k) of the Internal Revenue Code, as amended by § 124(a) of the Revenue Act of 1942, and § 113 of the Revenue Act of 1943, 26 U.S.C.A. Int.Rev.Code, § 23(k), which allows a deduction from gross income for “debts which become worthless within the taxable year,”
In order for the taxpayer to gain his deduction for 1941, he must show that the debt became worthless in that year.
Moreover, we deem the question of the year in which the debt became worthless to be a question of fact, and the determination by The Tax Court on that issue must stand if there is any substantial basis in the evidence for it. Commissioner v. Scottish American Investment Co., 1944, 323 U.S. 119, 65 S.Ct. 169, 89 L.Ed. 113; San Joaquin Brick Co. v. Commissioner, 9 Cir., 1942, 130 F.2d 220. The evidence is quite sufficient to substantiate The Tax Court’s finding.
The decision of the Tax Court is affirmed.
These amendments are effective with respect to the taxable years beginning after December 31,1938.