decided: February 25, 1946.
COMMISSIONER OF INTERNAL REVENUE. MAKRANSKY V. SAME (FOUR CASES).
Before MARIS, GOODRICH, and O'CONNELL, Circuit Judges.
In these cases the taxpayers ask this court to review the finding of the Tax Court that a loss which they incurred in the sale of contracts for the future delivery of wool was a loss upon the sale of capital assets and not an ordinary and necessary expense of their business deductible under Section 23(a) of the Internal Revenue Code, 26 U.S.C.A. Int. Rev. Code, § 23(a), or a loss deductible under Section 23(e). We think that this is a finding which this court is not at liberty to review. Dobson v. Commissioner, 1943, 320 U.S. 489, 64 S. Ct. 239, 88 L. Ed. 248; John Kelley Co. v. Commissioner, 1946, 66 S. Ct. 299.
The decision of the Tax Court is affirmed.
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