U.S. Court of Appeals for the Ninth Circuit, 1954

Commissioner of Internal Revenue v. Roy Eaton, Commissioner of Internal Revenue v. Genevieve H. Eaton

Commissioner of Internal Revenue v. Roy Eaton, Commissioner of Internal Revenue v. Genevieve H. Eaton
U.S. Court of Appeals for the Ninth Circuit · Decided March 10, 1954 · Mathews, Stephens, Bone
210 F.2d 653 (Federal Reporter, Second Series)

Commissioner of Internal Revenue v. Roy Eaton, Commissioner of Internal Revenue v. Genevieve H. Eaton

Opinion

PER CURIAM.

The Commissioner of Internal Revenue seeks review of two decisions of the Tax Court — a decision redetermining the income tax liability of Roy Eaton for the calendar years 1943, 1944, 1945 and 1946 and a decision redetermining the income tax liability of Genevieve H. Eaton for the calendar years 1945 and 1946. The decisions are affirmed on the authority of Commissioner v. Sultan, 9 Cir., 210 F.2d 652, affirming Sultan v. Commissioner, 18 T.C. 715; Commissioner v. Brodhead, 9 Cir., 210 F.2d 652, affirming Brodhead v. Commissioner, 18 T.C. 726.

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