KREPS v. COMMISSIONER

Docket No. 85290.

42 T.C. 660 (1964)

SIDNEY KREPS, PETITIONER, v. COMMISSIONER OF INTERNAL REVENUE, RESPONDENT

United States Tax Court.

Filed June 30, 1964.


Attorney(s) appearing for the Case

Morris A. Kaplan and Saul Goldstein, for the petitioner.

William F. Chapman, for the respondent.


BRUCE, Judge:

Respondent determined that petitioner is liable to the extent of $7,357.54 as transferee of assets of Metropolitan Air Freight Depot, Inc., for income taxes, additions to tax, and interest due from Metropolitan for the fiscal years ended February 28, 1951, February 29, 1952, and February 28, 1953.

The questions presented are:

(1) Whether petitioner is liable as a transferee to the extent of $7,357.54, or in any amount, for income...

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