Jacobs v. Commissioner
Opinion of the Court
The respondent has determined deficiencies in income tax for the years 1920 and 1921, and for the period January 1 to August 8,1922, in the total amount of $2,198.71; and overassessments for the year 1919, and for the period from September 1 to December 31, 1922, in the total amount of $887.57. The only error alleged in the petition is that certain bank deposits made in the taxable years represented capital assets and were not taxable as income.
The petitioner having failed to adduce evidence sufficient to overcome the presumption that the determination of the respondent is correct, the only course open to us under our rules is to decide this controversy adversely to her contention.
Decision will be entered for the respondent, under Rule 50,
Case-law data current through December 31, 2025. Source: CourtListener bulk data.