HELEN M. WEBB, ALLEGED TRANSFEREE, ET AL., PETITIONERS
v.
COMMISSIONER OF INTERNAL REVENUE, RESPONDENT
United States Tax Court.https://leagle.com/images/logo.png
Filed November 23, 1976.
Filed November 23, 1976.
Attorney(s) appearing for the Case
Kenneth G. Anderson, Robert S. Bolt, and Laurie W. Tomlinson, for the petitioners.
Robert S. Shilliday, Jr., for the respondent.
United States Tax Court.
FEATHERSTON, Judge:
Pursuant to section 6901,2 respondent has determined that petitioners are liable as transferees for a deficiency of $216,161.48 in the 1967 Federal income tax of the Cecil M. Webb Holding Co., which was liquidated in 1971. The amounts of the transferee liabilities so determined in respect of each of the petitioners are as follows:
Helen M. Webb .............. $216,161.48
...
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