First National Bank of Chicago
Opinion of the Court
Plaintiffs, as distributees of the estate of Hugh A. Foresman, contend that the estate incurred selling expenses of $24,500 in connection with the sale of certain securities, which expenses were used as a reduction from the gross amount received from the sale of the securities in determining gain or loss on the 1960 fiduciary income tax return. In 1964 the executor of the estate filed a claim for refund relative to the 1960 fiduciary return, by which claim the executor, inter alia, deducted the $24,500 sales expense as an administrative expense. In 1967 the Chicago District Director of Internal Revenue disallowed the refund claim. Plaintiffs contend that the refusal of the Commissioner of Internal Revenue to allow the deduction as an administrative expense deduction is erroneous and without warrant in law. This case comes
Case-law data current through December 31, 2025. Source: CourtListener bulk data.