Townsend Lumber Co. v. Commissioner
Townsend Lumber Co. v. Commissioner
1 B.T.A. 894; 1925 BTA LEXIS 2769
Opinion of the Court
The accounts shown by the taxpayer’s Exhibit 1, aggregating $37,779.31 — $9,233.74 for the year 1919, and $28,545.57 for the year 1920 — were properly deductible from gross income in such years,
Case-law data current through December 31, 2025. Source: CourtListener bulk data.