C-O-Two Fire Equipment Co. v. Commissioner of Internal Revenue C-O-Two Fire Equipment Co. v. Commissioner of Internal Revenue

C-O-Two Fire Equipment Co. v. Commissioner of Internal Revenue

1955.C03.40155 219 F.2D 57

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Publisher Description

This is a tax case in which the question involved depends upon when part of the taxpayers inventory became obsolete. If this happened in 1946 the taxpayer may carry back its loss for that year to reduce its 1944 tax liability and that is what it wants to do. The tax court found that the material in question became obsolete in 1947, 22 T.C. 124. Whether that finding is correct is the sole point in the case.

GENRE
Professional & Technical
RELEASED
1955
2 February
LANGUAGE
EN
English
LENGTH
5
Pages
PUBLISHER
LawApp Publishers
SIZE
70.1
KB

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