172 Wis. 67 | Wis. | 1920
The petitioners ‘in each of these actions are the beneficiaries under the- trust agreement referred to in the foregoing statement.' As such beneficiaries they received from the trustee's the total sum of $70,000 in the year 1917, this sum being the net proceeds which the trustees had received as rent from mines' located in the state of Michigan. The trial court held that the amount so received by the petitioners under the trust agreement was income received by them from property located and business conducted without this state and therefore not subject to taxation' under the state income tax law. It is the contention of the appellant that such income so received by petitioners was derived from business transacted within this state and subject to an in
By the Court. — The judgments appealed from are affirmed.