United States Board of Tax Appeals, 1927

Motor Car Supply Co. v. Commissioner

Motor Car Supply Co. v. Commissioner
United States Board of Tax Appeals · Decided December 12, 1927 · Littleton, Love, Smith, Teussell
9 B.T.A. 556
Motor Car Supply Co. v. Commissioner

Opinion of the Court

*557OPINION.

Teussell :

The allowable depreciation for the taxable year in question was depreciation sustained in that year alone. The method of computation used resulted in the inclusion of depreciation accumulated in prior years and not deducted in prior income-tax returns. Appeal of Fort Orange Paper Co., 1 B. T. A. 1230. The action of the Commissioner must, therefore, be affirmed.

Judgment will be entered for the respondent.

Considered by Littleton, Smith, and Love.

Case-law data current through December 31, 2025. Source: CourtListener bulk data.