Vernon K. Graves v. Commissioner of Internal Revenue, Harold J. Graves v. Commissioner of Internal Revenue

Good Law
400 F.2d 528
United States Court of Appeals for the Ninth CircuitAugust 29, 196822004California254 words

Opinion

Opinion

400 F.2d 528 Vernon K. GRAVES et al., Petitioners, v. COMMISSIONER OF INTERNAL REVENUE, Respondent. Harold J. GRAVES et al., Petitioners, v. COMMISSIONER OF INTERNAL REVENUE, Respondent. No. 22004. No. 22004-A. United States Court of Appeals Ninth Circuit. August 29, 1968. Wm. H. Kinsey (argued), Mautz, Souther, Spaulding, Kinsey & Williamson, Portland, Or., for appellants. Robert I. Waxman (argued), Mitchell Rogovin, Asst. Atty. Gen., Lester Uretz, Chief Counsel, Lee A. Jackson, Wm. A. Friedlander, Washington, D.C., for appellee. Before CHAMBERS and ELY, Circuit Judges, and VON DER HEYDT, District Judge. PER CURIAM: 1 The decision of the Tax Court is reported at 48 T.C. 7 (1967). 2 The only significant questions raised on this petition are (1) whether the Tax Court's determination as to the useful lives of several properties in issue was clearly erroneous and (2) whether the Tax Court erred in concluding that the Commissioner was not precluded, because of an alleged prior approval, from adjusting the depreciation basis of the same properties. The test to be applied in the determination of useful life is well established. Massey Motors, Inc. v. United States, 364 U.S. 92, 97 ,…

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