Dyer v. Commissioner
United States Tax Court
20 T.C.M. 705 (1961)
- Written by Robert Taylor, JD
Facts
Jean Dyer (plaintiff) claimed a casualty-loss tax deduction for damage to a vase that was broken by her cat. Dyer’s cat had developed a neurosis and broken the vase in a fit. The federal tax commissioner (defendant) determined that the loss attributed to the broken vase was not a valid tax deduction. Dyer petitioned the United States Tax Court for a redetermination.
Rule of Law
Issue
Holding and Reasoning (Black, J.)
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