GREENEBAUM v. DEPARTMENT OF TAXATION


1 Wis.2d 234 (1957)

GREENEBAUM, Appellant, vs. DEPARTMENT OF TAXATION, Respondent.

Supreme Court of Wisconsin.

June 4, 1957.


Attorney(s) appearing for the Case

For the appellant there were briefs by Michael, Spohn, Best & Friedrich, attorneys, and Ronald M. Anton of counsel, all of Milwaukee, and oral argument by Mr.John S. Best and Mr. Anton.

For the respondent there was a brief by the Attorney General and Harold H. Persons, assistant attorney general, and oral argument by Mr. Persons.


BROWN, J.

The controversy concerns the interpretation of sec. 71.04 (4), Stats. 1945, and sec. 71.05 (5), Stats. 1947. The material parts of the two statutes are identical, so we will refer only to the 1947 enactment. Incidentally, that has now been repealed.

"Sec. 71.05. DEDUCTIONS FROM INCOMES OF PERSONS OTHER THAN CORPORATIONS. Persons other than corporations, in reporting incomes for purposes of taxation, shall be allowed the following deductions: . ....

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