Reinschmidt v. Commissioner
Opinion of the Court
This proceeding is for the redetermination of a deficiency in income tax for the year 1920 in the amount of less than $10,000.
FINDINGS OF FACT.
The petitioner is an individual residing at Quitman, Ga. Fie is and was during the year 1920 engaged in the business of manufacturing and selling staves and barrels.
During the year 1920 the petitioner was also a member of a partnership which was engaged in the manufacture and sale of staves under the name of the Standard Stave Co. The petitioner, in addition to operating his own stave and barrel business, acted as selling agent for the Standard Stave Co. and handled its entire output for a commission of 15 cents per bundle. In the year 1920, the market for staves having declined, one of the other members of the Standard Stave Co., W. J. Booth, made an agreement with the peti
In the year 1920 the petitioner found that his cash book showed his bank balance to be $4,380.01 more than his balance as shown by the books of his bank. He was not able to reconcile the discrepancy and he therefore charged off the amount of $4,380.01 to expense and deducted that amount in computing his net income for the yeai 1920. The respondent disallowed the deduction.
Judgment will he entered for the resfondent.
Case-law data current through December 31, 2025. Source: CourtListener bulk data.