John R. Ozier and Mildred C. Ozier v. Commissioner of Internal Revenue

U.S. Court of Appeals for the Sixth Circuit
John R. Ozier and Mildred C. Ozier v. Commissioner of Internal Revenue, 600 F.2d 594 (6th Cir. 1979)
44 A.F.T.R.2d (RIA) 5222; 1979 U.S. App. LEXIS 13551

John R. Ozier and Mildred C. Ozier v. Commissioner of Internal Revenue

Opinion

ORDER

This is an appeal from a decision of the United States Tax Court in favor of the Respondent, who had determined a deficiency of $66,244.28 in Petitioners’ Federal Income Tax for the year 1969. Because of concessions made by Petitioners, only one issue remained for decision, namely, whether G-0 Enterprises, Inc., a corporation in which Petitioner John R. Ozier was a stockholder, was eligible under Sections 1371 and 1372 of the Internal Revenue Code of 1954 (26 U.S.C.), to elect to be taxed in 1969 as a small business corporation.

The Tax Court, in its Memorandum Findings of Fact and Opinion, held that G-0 Enterprises, Inc. was not eligible to elect to be taxed in 1969 as a small business corporation. T.C.Memo. 1977-53, Docket No. 4392-74. Pursuant to that determination the Tax Court entered its Decision that *595 there is a deficiency in the amount of $66,-244.28 in Petitioners’ income tax for the taxable year 1969.

Upon consideration, we are of the opinion that the findings of fact adopted by the Tax Court are supported by substantial evidence and its conclusions of law are correct.

We therefore affirm the decision of the Tax Court on its Memorandum Findings of Fact and Opinion.

Reference

Full Case Name
John R. OZIER and Mildred C. Ozier, Petitioners-Appellants, v. COMMISSIONER OF INTERNAL REVENUE, Respondent-Appellee
Cited By
1 case
Status
Published