Searching over 5,500,000 cases.


searching
Buy This Entire Record For $7.95

Official citation and/or docket number and footnotes (if any) for this case available with purchase.

Learn more about what you receive with purchase of this case.

Ciba Pharmaceutical Products Inc. v. Commissioner of Internal Revenue

UNITED STATES COURT OF APPEALS THIRD CIRCUIT.


decided: December 11, 1961.

CIBA PHARMACEUTICAL PRODUCTS, INC., PETITIONER,
v.
COMMISSIONER OF INTERNAL REVENUE, RESPONDENT.

Before GOODRICH, STALEY and GANEY, Circuit Judges.

Per Curiam.

The Tax Court has again held that it has no jurisdiction to hear and determine an issue involving excess profits taxes for the years 1944 and 1945 under the provisions of Sections 722 and 732 of the Internal Revenue Code of 1939, 26 U.S.C.A. Excess Profits Taxes, ยงยง 722, 732. This question was thoroughly discussed by this Court in Commissioner v. S. Frieder & Sons Co., 3 Cir., 228 F.2d 478 (1955). There we held in accordance with at least five courts of appeals that the court did have such jurisdiction. That decision was right and we follow it.

The decision of the Tax Court will be reversed and the case remanded for further proceedings not inconsistent with this opinion.

19611211

© 1998 VersusLaw Inc.



Buy This Entire Record For $7.95

Official citation and/or docket number and footnotes (if any) for this case available with purchase.

Learn more about what you receive with purchase of this case.