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13 B.T.A. 950

Edwin J. Schoettle Co. v. Commissioner

United States Board of Tax Appeals

Decided October 12, 1928

United States Board of Tax Appeals · decided 1928-10-12

The bond filed by the petitioner in connection with a claim in abatement does not operate to extend the statutory period of limitations for the assessment and collection of taxes. C. B. Shaffer,12 B.T.A. 298, and Gulf States Steel Co.,12 B.T.A. 1244, followed.

Relies on Shaffer v. Commissioner · Gulf States Steel Co. v. Commissioner

Good law ✅— No negative treatment on recordhow we know

Decided 1928-10-12

How this case has been cited

Cited by 6 later decisions — most recently March 1952

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Later decisions citing this case, by decade. The current decade is in progress, and our corpus holds fewer opinions from the most recent years, so the latest bars are undercounted — not a real decline.

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¶1*952OPINION.

Arundell:

¶2To the plea of the bar of the statute of limitation respondent has interposed the defense that the bond filed by petitioner with its claim in abatement is a consent in writing within the meaning of the taxing statute. This contention was ruled upon adversely by us in the case of C. B. Shaffer, 12 B. T. A. 298, and Gulf States Steel Co., 12 B. T. A. 1244. See also United States v. John Barth Co., 27 Fed. (2d) 782.

¶3As a further defense respondent contends that petitioner’s return does not meet the requirements of section 13(b) of the Revenue Act of 1916, which was in effect at the time the return was filed, in that the return was sworn to by petitioner’s president and secretary, wherein the statute requires that it be sworn to by the president and treasurer of the company. The evidence discloses however, that Schoettle, who executed the return as president of the company, was during the taxable year and at the' date the return was filed also petitioner’s treasurer. In view of this fact it becomes unnecessary to pass upon the legal question raised by respondent.

¶4Judgment will be entered for the petitioner.

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