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Commissioner of Internal Revenue v. Eccles

United States Court of Appeals, Fourth Circuit
Dec 9, 1953
208 F.2d 796 (4th Cir. 1953)

Summary

In Commissioner of Internal Revenue v. Eccles, 1953, 208 F.2d 796, we upheld a decision of the Tax Court which permitted a joint tax return to be filed by a husband and wife who were separated by a Utah divorce decree which was interlocutory and not yet final.

Summary of this case from Sullivan v. Commissioner of Internal Revenue

Opinion

No. 6683.

Argued November 19, 1953.

Decided December 9, 1953.

James Q. Riordan, Sp. Asst. to Atty. Gen., Washington, D.C. (H. Brian Holland, Asst. Atty. Gen., Ellis N. Slack and Lee A. Jackson, Sp. Assts. to Atty. Gen., Washington, D.C., on brief), for petitioner.

Randolph E. Paul, Washington, D.C. (Carolyn E. Agger, Washington, D.C., on brief), for respondent.

Before PARKER, Chief Judge, and SOPER and DOBIE, Circuit Judges.


This is a petition to review a decision of the Tax Court holding that taxpayer was entitled to file a joint income tax return with his wife for the taxable year ending prior to the date upon which he became finally divorced although an interlocutory decree had been entered prior to the expiration of the year. We think that the decision of the Tax Court was clearly correct for reasons adequately stated in its opinion. See 19 T.C. 1049.

Affirmed.


Summaries of

Commissioner of Internal Revenue v. Eccles

United States Court of Appeals, Fourth Circuit
Dec 9, 1953
208 F.2d 796 (4th Cir. 1953)

In Commissioner of Internal Revenue v. Eccles, 1953, 208 F.2d 796, we upheld a decision of the Tax Court which permitted a joint tax return to be filed by a husband and wife who were separated by a Utah divorce decree which was interlocutory and not yet final.

Summary of this case from Sullivan v. Commissioner of Internal Revenue
Case details for

Commissioner of Internal Revenue v. Eccles

Case Details

Full title:COMMISSIONER OF INTERNAL REVENUE v. ECCLES

Court:United States Court of Appeals, Fourth Circuit

Date published: Dec 9, 1953

Citations

208 F.2d 796 (4th Cir. 1953)

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