Wright's Appeal
Wright's Appeal
Opinion of the Court
The opinion of the court was delivered,
— In this case the Commonwealth claimed, and was allowed, a collateral inheritance tax on $10,000, which had been part of the estate of Joseph Wright, deceased; and notwithstanding the very careful argument of the appellant’s counsel, it appears to us very plain that the tax was rightfully allowed. The decedent had assigned $10,000 of stocks to the Pennsylvania Company for Insurance on Lives, in trust, to pay him the income for life, and after that, certain sums and annuities particularly specified, if the persons should outlive him, and the remainder to the purposes of his will, and had reserved a right to revoke all
Decree affirmed at the costs of the appellants.
Case-law data current through December 31, 2025. Source: CourtListener bulk data.