Arvid E. Jackson - Page 11

                                                  -  -11                                                     
            summary fashion set forth above.  In our view, if section 273                                 
            were not applicable to the facts here present, under section                                  
            167(e) petitioner would not be entitled to any amortization                                   
            deduction with respect to her life interest in the trust.                                     
                                                                                                         
                                                              Decision will be entered                    
                                                        for respondent.                                   


































Page:  Previous  1  2  3  4  5  6  7  8  9  10  11  

Last modified: May 25, 2011