TURBEVILLE v. COMMISSIONER OF INTERNAL REVENUE

No. 8036.

84 F.2d 307 (1936)

TURBEVILLE v. COMMISSIONER OF INTERNAL REVENUE.

Circuit Court of Appeals, Fifth Circuit.

June 10, 1936.


Attorney(s) appearing for the Case

John B. King, of Wichita Falls, Tex., for petitioner.

Robert H. Jackson, Asst. Atty. Gen., John G. Remey and Sewall Key, Sp. Assts. to Atty. Gen., and Herman Oliphant, Gen. Counsel, Department of Treasury, and De Witt M. Evans, Sp. Atty., Bureau of Internal Revenue, both of Washington, D. C., for respondent.

Before FOSTER, HUTCHESON, and HOLMES, Circuit Judges.


HUTCHESON, Circuit Judge.

In an opinion reported in 31 B.T.A. 283, the Board of Tax Appeals considered and disposed of a series of questions raised on Mrs. Turbeville's appeal from the findings of the Commissioner. The only complaint made here is of its ruling in affirmance of the Commissioner's determination that bonuses and royalties received from plaintiff's separate property were in their entirety her income and taxable to her. Petitioner in her brief thus states...

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