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Harold Binder v. Commissioner. Bessie Binder v. Commissioner. Thomas W. Binder v. Commissioner. Naomi Binder v. Commissioner.
Harold Binder v. Commissioner. Bessie Binder v. Commissioner. Thomas W. Binder v. Commissioner. Naomi Binder v. Commissioner.
Binder v. Commissioner
Docket Nos. 38579, 38580, 38581, 38582.
United States Tax Court
1953 Tax Ct. Memo LEXIS 235; 12 T.C.M. (CCH) 584; T.C.M. (RIA) 53183; May 27, 1953
*235 Samuel J. Warms, Esq., for the petitioners. Stanley W. Herzfeld, Esq., for the respondent.
OPPER
Memorandum Opinion
OPPER, Judge: Deficiencies determined against the various petitioners as follows are contested in part:
Naomi Binder
Year
Tax
Deficiency
[1944] Income
$1,290.83
Thomas W. Binder
[1943] Income
$2,011.69
[1944] Income
1,232.26
Bessie Binder
[1943] Income
$1,757.92
[1944] Income
1,245.84
Harold Binder
[1943] Income
$1,789.53
[1944] Income
1,290.83
Various adjustments having been conceded, the sole issue is whether wages paid by petitioners as partners to employees producing goods sold by the partnership may be disallowed as in excess of amounts permitted by the Wage Stabilization Board.
The facts are stipulated. They are hereby so found. Income tax returns for the years involved were filed with the collector for the fifth collection district of New Jersey.
The parties apparently agree that the question posed is identical with that in The Weather-Seal Manufacturing Co., 16 T.C. 1312, which has in the meantime been affirmed (C.A. 6) 199 Fed. (2d) 376, and as to which we are not convinced of*236 any error. On authority thereof
Decision will be entered for the respondent.
