HEFFERNAN, J.
The sole question before the court is the taxability of the pension payments to be made to Mrs. King. The state contends that a tax is imposed by sec. 72.01 (3) (b), Stats.:
"When a transfer is of property, made without an adequate and full consideration in money or money's worth . . . by . . . gift, intended to take effect in possession or enjoyment at or after the death of the . . . donor, . . ."
It is our conclusion that this case...
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