¶2In accordance with the stipulation, the deficiency originally determined by the Commissioner is allowed in part and disallowed in part and the taxpayer’s total deficiency for the years 1919, 1920, and 1921, is determined to be $329.08.
1 B.T.A. 1113
Feuer v. Commissioner
United States Board of Tax Appeals
Decided May 6, 1925
United States Board of Tax Appeals · decided 1925-05-06
Cited by 3 later decisions — most recently December 1933
2 federal appellate ·
Good law ✅— No negative treatment on recordhow we know
Decided 1925-05-06
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