COMMISSIONER OF INTERNAL REV. v. TEXTILE MILLS S. CORP.

No. 7056.

117 F.2d 62 (1940)

COMMISSIONER OF INTERNAL REVENUE v. TEXTILE MILLS SECURITIES CORPORATION.

Circuit Court of Appeals, Third Circuit.

December 7, 1940.


Attorney(s) appearing for the Case

Louise Foster, Sp. Asst. to the Atty. Gen. (James W. Morris, Asst. Atty. Gen., and Sewall Key, Sp. Asst. to the Atty. Gen., on the brief), for petitioner.

Edmund S. Kochersperger, of Washington, D. C., for respondent.

Before BIGGS, MARIS, CLARK, JONES, and GOODRICH, Circuit Judges.


BIGGS, Circuit Judge.

Facts.

Textile Mills Securities Corporation, the respondent taxpayer, is a Delaware corporation. Its charter is not in evidence, but it is stipulated that the taxpayer's business activities included trading in securities, investing in properties and acting as an agent for foreign and domestic principals. It also appears that all of the taxpayer's officers had connections either by way of official position or stock ownership in one or...

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