SHEA v. COMMISSIONER OF INTERNAL REVENUE

No. 7927.

81 F.2d 937 (1936)

SHEA v. COMMISSIONER OF INTERNAL REVENUE.

Circuit Court of Appeals, Ninth Circuit.

Rehearing Denied March 23, 1936.


Attorney(s) appearing for the Case

Robert T. Jacob, of Portland, Or., for petitioner.

Frank J. Wideman, Asst. Atty. Gen., and Sewall Key, Helen R. Carloss, and Frank J. Ready, Jr., Sp. Assts. to the Atty. Gen., for respondent.

Before WILBUR, GARRECHT, and MATHEWS, Circuit Judges.


WILBUR, Circuit Judge.

This is an appeal from a decision of the Board of Tax Appeals affirming the Commissioner's determination that certain income of petitioner, reported by petitioner and his wife as community property taxable one-half to each, was all taxable to him under the revenue laws.

Petitioner and his wife were married in 1907. They were residents of the state of Oregon until 1928. In the year 1920, the partnership known as the J. F. Shea Company...

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