Ludewig v. Commissioner
Opinion of the Court
The petitioner in these cases is a member of the same partnership considered in the Appeal of Theodore Schilling, 3 B. T. A. 936. In that case we approved the respondent’s computation of taxes and held that the method used was in accordance with section 205 (c) of the Revenue Act of 1921. Petitioner in these cases, although he points out a difference in that Theodore Schilling was a nonresident alien, whereas he is a resident citizen, and in that the rates of the year 1922 were different from those of 1921, admits that there is no difference in principle between the Schilling case and these cases and frankly asks the Board to reconsider its holding in the Schilling appeal.
Judgment will be entered for the respondent.
Case-law data current through December 31, 2025. Source: CourtListener bulk data.