Theodore Koppelman v. Commissioner of Internal Revenue
199 F.2d 955
3rd Cir.1952Check Treatment
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,
The decision of the Tax Court will be affirmed.
