Kohane & Marymont, Inc. v. Commissioner
Opinion of the Court
Taxpayer appeals from a deficiency in income and profits taxes for the year 1919 in the sum of $2,075.49, which deficiency is reduced In the deficiency letter by the allowance of an overassessment
BINDINGS OP PACT.
Taxpayer is a Nevada corporation with its principal office at Reno. Its corporate name during the years 1917, 1918, and 1919, was Kohane & Marymont, Inc., which name, by amendment to the corporate charter, was changed to and now is L. Marymont, Inc.
During the year 1916 the taxpayer was conducting a business known as The Emporium, which it owned.
On December 18, 1916, taxpayer purchased from the trustee in bankruptcy of the Unique Store Co. the merchandise and fixtures of a ladies’ goods store formerly conducted by the bankrupt, and paid therefor the sum of $11,855.43.
DECISION.
The determination of the Commissioner is approved.
Case-law data current through December 31, 2025. Source: CourtListener bulk data.