JORDAN v. C. I. R.

Nos. 74-1390, 74-1410, 74-1412, 74-1389 and 74-1411.

514 F.2d 1209 (1975)

Glen A. JORDAN and Virginia D. Jordan, Appellants-Cross Appellees, v. COMMISSIONER OF INTERNAL REVENUE, Appellee-Cross Appellant. INSURANCE SALES AND MANAGEMENT COMPANY, Appellant-Cross Appellee, v. COMMISSIONER OF INTERNAL REVENUE, Appellee-Cross Appellant.

United States Court of Appeals, Eighth Circuit.

Decided May 6, 1975.

Attorney(s) appearing for the Case

W. Dane Clay, Rose, Nash, Williamson, Carroll & Clay, Little Rock, Ark., for Jordan & Insurance Sales.

Louis A. Bradbury, Atty., Dept. of Justice, Tax Div., Washington, D. C., for C. I. R.

Before VAN OOSTERHOUT, Senior Circuit Judge, ROSS, Circuit Judge, and TALBOT SMITH, Senior District Judge.


Before us are appeals by Glen A. and Virginia D. Jordan in their individual capacity and Insurance Sales & Management Company, a corporation, from judgment of the United States Tax Court disallowing the Jordans certain alleged business expense deductions incurred in 1965 and 1966 and attributing certain income and deductions to Glen A. Jordan personally rather than his wholly owned corporation, Insurance Sales & Management Company, for the company...

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