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Leonard HYATT and Maudie Hyatt, Petitioners, v. COMMISSIONER OF INTERNAL REVENUE, Respondent

United States Court of Appeals for the Fifth Circuit1963-12-18No. No. 20503
325 F.2d 715

Authorities cited

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Opinion

majority opinion

PER CURIAM.

This case presents a factual situation indistinguishable for the purposes of the controlling legal principle from our deci sion in United States v. Eidson, (5th Cir. 1962) 310 F.2d 111. It follows that the decision of the Tax Court, that amounts received by the taxpayers upon assignment of their rights under a general agency contract for a Texas statewide mutual assessment life insurance company were taxable as ordinary income, was correct, and that it should be and is affirmed.