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United States Ninth Circuit


SKLAR v. COMMN'R INTERNAL REVENUE, 00-70753

Because appellants did not show that their "dual payment" tuition payments are deductible under the Tax Code (section 170 of the Internal Revenue Code), or that the total payments they made for both secular and religious school education their children received exceeded the market value of other secular private school education available, the IRS did not err in disallowing their deductions.

Appellate Information

  • Decided 01/29/2002
  • Published 01/29/2002

Judges

  • Before PREGERSON, REINHARDT and SILVERMAN, Circuit Judges.

Court

  • United States Ninth Circuit

Counsel

  • For Appellant:
  • Jeffrey I. Zuckerman,Curtis, Mallet-Prevost, Colt & Mosle, Washington, DC, for the appellants., David Zwiebel, New York, NY, for amicus curiae Agudath Israel of America, in support of the appellants.

  • For Appellees:
  • Thomas J. Sawyer, Attorney, Tax Division, Department of Justice, Washington, DC, for the appellee.
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