Public-domain · open source
OpenJurist

42 F.2d 197

Docket No. 216.

Bruce v. Commissioner

Second Circuit Court of Appeals

Decided May 19, 1930.

Second Circuit Court of Appeals · decided 1930-05-19

Cited by 13 later decisions — most recently April 1937

13 federal appellate ·

2 counsel of record

Relies on Logan v. Commissioner

Good law ✅— No negative treatment on recordhow we know

Decided 1930-05-19

View the full empirical analysis of this case →

¶1Raymond B. Goodell, of New York City, for petitioner.

¶2G. A. Youngquist, Asst. Atty. Gen., and J. Louis Monarch and John Vaughan Groner, Sp. Assts. to Atty. Gen. (C. M. Char-est, Gen. Counsel, Bureau of Internal Revenue, and Allin H. Pierce, Sp. Atty., Bureau of Internal Revenue, both of Washington, D. C., of counsel), for respondent.

¶3Before MANTON, SWAN, and AUGUSTUS N. HAND, Circuit Judges.

¶4MANTON, Circuit Judge.

¶5This petitioner owned 350 shares of stock of the Andrews & Hitchcock Iron Company, which °she owned prior to March 1,1913, and sold on March 11, 1916, under the circumstances and terms referred to in the ease of Logan v. Commissioner (C. C. A.) 42 F.(2d) 193, decided this day. She also inherited 55%ooo interest from her mother’s estate. The income in question was moneys received during two years, 1918 and 1919, as payment made pursuant to the contract obligation of the Youngstown Sheet & Tube Company to this petitioner. The same contract is involved. For the reasons there stated, it follows that the order of the Board determining these moneys in part to be income and taxable was erroneous, and the order must be reversed.

¶6Order reversed.

/42/f2d/197 · .json · Public domain