Opinion
No. 25219.
July 7, 1971. Rehearing Denied August 13, 1971.
William Friedlander (argued), Atty. for Tax Div., Johnnie M. Walters, Asst. Atty. Gen., Lee A. Jackson, John M. Kirk, Washington, D.C., Dean C. Smith, U.S. Atty., Spokane, Wash., for appellant.
Eldon Reiley (argued), Myers, Reiley Annis, Spokane, Wash., for appellee.
The district court, 301 F. Supp. 713, entered judgment granting a refund of capital-gain taxes paid by plaintiff, a trustee of an endowment fund established under Washington law to provide perpetual care for a profit-making cemetery.
The judgment is reversed, for the reasons stated in Evergreen Cemetery Association of Seattle v. United States of America, 444 F.2d 1232 (9th Cir. 1971).
The difference between a trustee (this case) and a nonprofit corporation (Evergreen Cemetery case) has no bearing upon tax exemption under Internal Revenue Code of 1954, § 501(c) (13).