Wagner v. Commissioner
Opinion
Order
FISHER, Judge: Upon consideration of the stipulation of the parties in the above-entitled case lodged October 24, 1958, and petitioners' motion filed October 24, 1958, moving that the Court enter additional findings of fact as a basis for computations under Rule 50, to which motion counsel for respondent has entered "no objection", it is
ORDERED: (1) That special leave be and it is hereby granted to petitioners to file said motion under Rule 19(e) of this Court's Rules of Practice; and
(2) that the Findings of Fact of this Court be amended and supplemented by additional Findings of Fact as follows:
At the end of the first sentence following the tabulation on page 65 of the
Sales Company #1 reported its first taxable income on the basis of a taxable year ended June 30, 1945, and thereafter both Sales Company #1 and #2 reported on the basis of taxable years ended on April 30, commencing in 1946. The total net distributable income of Sales Company #1 and #2 for*38 the taxable years indicated is as follows:
| Ordinary | 50% Net | |
| Net | Long Term | |
| Income | Capital Gain | |
| Taxable year ended | ||
| June 30, 1945 | $ 94,866.69 | |
| Taxable period July 1, | ||
| 1945 through April | ||
| 30, 1946 | 67,762.04 | |
| Taxable year ended | ||
| April 30, 1947 | 200,748.12 | $1,509.59 |
| Taxable year ended | ||
| April 30, 1948 | 172,894.02 | 3,794.16 |
Case-law data current through December 31, 2025. Source: CourtListener bulk data.