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I. D. BLUMENTHAL and Madolyn C. Blumenthal, Petitioners, v. COMMISSIONER OF INTERNAL REVENUE, Respondent

United States Court of Appeals for the Fourth Circuit1964-06-17No. No. 9397
334 F.2d 281

Authorities cited

No cited authorities resolved to law.co cases yet.

Opinion

majority opinion

PER CURIAM.

The Tax Court held that the legal expenses which the taxpayer sought to deduct were not ordinary and necessary business expenses deductible under § 212 of the Internal Revenue Code of 1954. For the reasons stated by the Tax Court in its opinion, we agree that these were capital disbursements. Affirmed.

T. C. Memo 1963-269.