Fetzer Refrigerator Co. v. United States by United States Court Of Appeals For The Sixth Circuit

Fetzer Refrigerator Co. v. United States

By

  • Genre Law
  • Released

Description

The sole issue presented on this appeal is whether, for purposes of Section 267(a)(2) of the Internal Revenue Code of 1954, the controlling shareholder of the taxpayer corporations "constructively received" certain accrued rents, where he had the authority as controlling shareholder and officer to draw checks upon the bank accounts of the corporations and the amounts in question had been accrued as payable on the books of the corporations at the time they became due.

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