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Theodore Koppelman v. Commissioner of Internal Revenue
199 F.2d 955
3rd Cir.
1952
Check Treatment
PER CURIAM.

In this family partnership case, the Tax Court rightly recognized that, as far as its validity for income tax purposes was concerned, it was governed by the rule of Commissioner v. Culbertson, 337 U.S. 733, 69 S.Ct. 1210, 93 L.Ed. 1659. So tested the Court found that the agreement in which the trustees of the trust or trusts created by the petitioner were named as a partner was not made in good faith and with a business purpose with intent to carry on an enterprise in partnership with the trust or trusts. There is ample evidence in the record considered as a whole to justify that finding.

The decision of the Tax Court will be affirmed.

Case Details

Case Name: Theodore Koppelman v. Commissioner of Internal Revenue
Court Name: Court of Appeals for the Third Circuit
Date Published: Dec 1, 1952
Citation: 199 F.2d 955
Docket Number: 10733_1
Court Abbreviation: 3rd Cir.
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