Robertson v. Commissioner
Opinion of the Court
The item of gain or loss involved in the sale of petitioner’s stock in the corportion in 1920 formed no part of the controversy in this case until that transaction was incidentally developed at the
Counsel for the Commissioner at the hearing conceded the proof of loss sustained by petitioner on the sale of cotton in the amount of $10,634.49, and hence we hold that he is entitled to a deduction of that amount as a loss. There was no proof of the date of acquisition of "the leases on which petitioner claimed a loss, whether prior to or subsequent to March 1, 1913. If acquired prior to March 1, 1913, and their market value was less on that date than cost, the loss, if any, was that value, since nothing was received for them. The burden of proof on this issue being on petitioner, we hold that he failed to make out his case on that issue and sustain the action of the Commissioner.
Reviewed by the Board.
Jxidgment will be entered, wader Bule BO.
Case-law data current through December 31, 2025. Source: CourtListener bulk data.