COLORADO COUNTY FEDERAL SAVINGS AND LOAN ASSOCIATION v. COMMISSIONER OF INTERNAL REVENUE

Decision Date28 November 1962
Docket NumberNo. 19509.,19509.
Citation309 F.2d 751
PartiesCOLORADO COUNTY FEDERAL SAVINGS AND LOAN ASSOCIATION, Petitioner, v. COMMISSIONER OF INTERNAL REVENUE, Respondent.
CourtU.S. Court of Appeals — Fifth Circuit

Robert Mueller, E. Richard Criss, Jr., Austin, Tex., Charles W. Schoeneman, Leonard L. Silverstein, Washington, D. C., for petitioner.

Louis F. Oberdorfer, Asst. Atty. Gen., Lee A. Jackson, Atty., Dept. of Justice, Crane C. Hauser, Chief Counsel, I. R. S., Robert B. Alexander, Atty., I. R. S., Meyer Rothwacks, Harry Baum, Michael K. Cavanaugh, Martin B. Cowan, Attys., Dept. of Justice, Washington, D. C., for respondent.

Before TUTTLE, Chief Judge, and HUTCHESON and BROWN, Circuit Judges.

PER CURIAM.

Appealing from the opinion and order of the Tax Court, 36 T.C. 1167, the petitioner is here insisting that the Tax Court erred in sustaining the commissioner's determinations, that it was not entitled to deduct $9,763.04 and $10,062.97 for the taxable years 1954 and 1955, respectively, as additions to a bad debt reserve, as dealt with in the Internal Revenue Code of 1954, Secs. 166 and 593, and Treasury Regulations, Sec. 1.593-1.

All of the facts were stipulated and were found by the Tax Court as stipulated, and the opinion of the Tax Court clearly and correctly determined the issues presented. It will serve no useful purpose, therefore, for us to do more than to say that this is so, and, adopting the opinion of the Tax Court, affirm the order and decision appealed from.

Affirmed.

To continue reading

Request your trial
8 cases
  • Home Sav. v. Comm'r of Internal Revenue , Docket No. 3083-80.
    • United States
    • United States Tax Court
    • 23 Marzo 1983
    ... 80 T.C. 571 HOME SAVINGS v. COMMISSIONER of INTERNAL REVENUE, RESPONDENT ...         Petitioner, a savings and loan association, used the reserve method of ... its other reserve accounts, and (3) its Federal income tax return for 1975 which explained the ... Colorado County , Commercial , Newport . In the other ......
  • Leesburg Fed. Sav. & Loan Ass'n v. Comm'r of Internal Revenue, Docket No. 299-69.
    • United States
    • United States Tax Court
    • 2 Diciembre 1970
    ...do not meet these requirements. We have so held in Colorado County Federal Savings & Loan Association, 36 T.C. 1167, affirmed per curiam 309 F.2d 751 (C.A. 5). In the Colorado County case, which arose under section 593 of the 1954 Code, before it was amended by Revenue Act of 1962 (see fn. ......
  • Centralia Fed. Sav. & Loan Ass'n v. Comm'r of Internal Revenue, Docket Nos. 1685-74
    • United States
    • United States Tax Court
    • 28 Junio 1976
    ...reserve still had to be available for bad debts. In Colorado County Federal Savings & Loan Association, 36 T.C. 1167 (1961), affd. 309 F.2d 751 (5th Cir. 1962), the taxpayer [66 T.C. 611] failed to make any transfers to reserves on its books of account until 1 1/2 or 2 1/2 years after the c......
  • Bolling v. Commissioner, Docket No. 2552-62 — 2555-62.
    • United States
    • United States Tax Court
    • 22 Mayo 1964
    ...... basis home builders and sellers acting as loan guarantors for customers must include in income ... filed with the district director of internal revenue, Kansas City, Missouri. Hausmann timely ... was therefore entered into with Home Savings Association of Kansas City, a savings and loan ...See and compare Colorado County Federal Savings & Loan Assn. Dec. 25,055, ......
  • Request a trial to view additional results

VLEX uses login cookies to provide you with a better browsing experience. If you click on 'Accept' or continue browsing this site we consider that you accept our cookie policy. ACCEPT