PATMON, YOUNG & KIRK, PROFESSIONAL CORP. v. C. I. R.

No. 75-2214.

536 F.2d 142 (1976)

PATMON, YOUNG & KIRK, PROFESSIONAL CORPORATION, Petitioner-Appellant, v. COMMISSIONER OF INTERNAL REVENUE, Respondent-Appellee.

United States Court of Appeals, Sixth Circuit.

Decided June 15, 1976.


Attorney(s) appearing for the Case

Stanley R. Kirk, Patmon, Young & Kirk, Professional Corp., Detroit, Mich., for petitioner-appellant.

Scott P. Crampton, Gilbert E. Andrews, Asst. Attys. Gen., Alfred S. Lombardi, Tax Div., Dept. of Justice, Washington, D. C., Meade Whitaker, Internal Revenue Service, Washington, D. C., for respondent-appellee.

Before CELEBREZZE, MILLER and LIVELY, Circuit Judges.


LIVELY, Circuit Judge.

The single issue for decision is whether a cash basis corporate taxpayer may deduct in the year of its delivery the value of a demand promissory note guaranteed by its stockholders and delivered to the trustees of its profit-sharing trust as a contribution to that trust where the note remains unpaid at the end of the taxable year. We hold that it is not entitled to the claimed deduction and affirm the Tax Court.

The facts were stipulated...

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