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Submitted Dec. 8, 1933.
Messrs. Claude R. Branch, of Providence, R.I., W. W. Spalding and Robert A. Littleton, both of Washington, D.C., and Felix T. Smith, of San Francisco, Cal., for petitioner.
The Attorney General and Messrs. J. Crawford Biggs, Sol. Gen., Erwin N. Griswold, Sewall Key, and John MacC. Hudson, all of Washington, D.C., for respondent.
Mr. Justice ROBERTS delivered the opinion of the Court.
This case was brought here by writ of certiorari.
1
The petitioner is a beneficiary of the trust created by the will of A. C. Whitcomb, and her status2 differs from that of
[291 U.S. 53, 54]
the petitioner in No. 129 (
For the reasons set forth in the opinion in No. 129 the judgment must be reversed.
So ordered.
Mr. Justice BRANDEIS, Mr. Justice STONE, and Mr. Justice CARDOZO, dissent.
[ Footnote 1 ] See Whitcomb v. Commissioner of Internal Revenue, 22 B.T.A. 118; Burnet v. Whitcomb (App. D.C.) 65 F.(2d) 803, Id. (App. D.C.) 65 F.(2d) 809.
[
Footnote 2
] Companion cases in the Board of Tax Appeals and the Court of Appeals of the District of Columbia, which involve the tax liability of other beneficiaries of the same trust, under like circumstances, were brought up by certiorari. They are Nos. 146 to 150, inclusive,
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Citation: 291 U.S. 53
No. 145
Decided: January 08, 1934
Court: United States Supreme Court
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Get help with your legal needs
FindLaw’s Learn About the Law features thousands of informational articles to help you understand your options. And if you’re ready to hire an attorney, find one in your area who can help.
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