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Keusch v. Commissioner of Internal Revenue.

CIRCUIT COURT OF APPEALS, THIRD CIRCUIT


July 11, 1932

KEUSCH
v.
COMMISSIONER OF INTERNAL REVENUE.

Appeal from Board of Tax Appeals.

Before BUFFINGTON, DAVIS, and THOMPSON, Circuit Judges.

Per Curiam.

The underlying question in this case is whether the Lorillard stock sold by the taxpayer was part of his business or was an ordinary capital asset. The tax authorities decided as a question of fact that it was entirely independent of his business. Such being the case, it follows the taxpayer was not entitled to have his loss on such stock deducted as a business loss, and the Commissioner rightly so held. The appeal of the taxpayer is dismissed.

19320711

© 1998 VersusLaw Inc.



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