United States Tax Court, 1959

Hudson v. Commissioner

Hudson v. Commissioner
United States Tax Court · Decided January 26, 1959
18 T.C.M. 62; 1959 Tax Ct. Memo LEXIS 238
Hudson v. Commissioner

Opinion

Phil L. Hudson and Gertrude Hudson v. Commissioner.
Hudson v. Commissioner
Docket No. 61391,
United States Tax Court
1959 Tax Ct. Memo LEXIS 238; 18 T.C.M. (CCH) 62;
January 26, 1959

*238 RAUM

Order

RAUM, Judge: Petitioners on January 9, 1959, filed a "Motion to Amend Findings", requesting that the findings heretofore entered December 23, 1958 (31 T.C. No. 62), be modified in two respects.

On consideration of the motion, it is

ORDERED: That the request contained in paragraph numbered "1." of the motion be and the same is hereby denied, because the Court is not satisfied that the proposed finding is true. It is further

ORDERED: That the request contained in paragraph numbered "2." of the motion is granted, and page 17 of the Findings of Fact is amended by striking the sentence beginning "However, the books * * *" and ending "* * * covering nine units" and inserting in lieu thereof:

"However, the books of Hudson Body Company do reveal that in 1951 petitioner advanced $507,200.51 to Jones, J. R. Jones Company and/or Texas Coach Sales Company in 18 transactions covering 219 units; in 1952 he advanced $40,690.83 in two trans-actions covering 17 units; in 1953, $22,931.60 in five transactions covering nine units."

Case-law data current through December 31, 2025. Source: CourtListener bulk data.