Curran v. Commissioner
Opinion of the Court
The only issue remaining in this proceeding is one of fact. The corporate action taken indicates that a dividend was declared in 1921 and that the petitioner’s portion of that dividend, $76,500, was credited to him by application against indebtedness. All of the documentary evidence points to the amount being a dividend and the respondent has so taxed it to the petitioner.
The petitioner contends here, however, that his purpose and that of the corporation, which he controlled, was not to receive or declare a dividend, but was to receive or pay for certain real estate transferred to the corporation by the petitioner in 1920.
We are convinced from all the evidence that the petitioner intended that the corporation should pay $150,000 for the property. We also
Reviewed by the Board.
Judgment mil be entered for the respondent.
Case-law data current through December 31, 2025. Source: CourtListener bulk data.