Sawtell v. Commissioner of Internal Revenue
1936.C01.40062 82 F.2D 221
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Publisher Description
The question is whether the petitioner, Mrs. Sawtell, was properly taxed on the gain on a sale of certain shares of stock which at the time when the sale was made were owned by trustees. The Commissioner held that the gain was income taxable to her, and the Board of Tax Appeals affirmed his decision.