UNITED STATES v. ROYAL INDEMNITY CO.


21 F.2d 65 (1927)

UNITED STATES et al. v. ROYAL INDEMNITY CO.

District Court, W. D. Kentucky, at Louisville.

May 25, 1927.


Attorney(s) appearing for the Case

Thos. J. Sparks, U. S. Atty., of Greenville, Ky., A. W. Gregg, Gen. Counsel, Bureau of Internal Revenue, and C. C. McCormick, Atty. Bureau of Internal Revenue, both of Washington, D. C., for plaintiffs.

Beckham, Hamilton & Beckham and Woodward, Warfield & Hobson, all of Louisville, Ky., for defendant.


DAWSON, District Judge.

The plaintiffs vigorously press their contention that their motion to strike from the defendant's answer paragraphs 5, 6, 7, 8, 9, and 10, and their demurrer to defendant's answer, should have been sustained; but after further consideration I am content to let the order, overruling the motion to strike and the demurrer, heretofore made, stand. Therefore the sole question to be determined in this case is whether the taxpayer, Long Branch Coal...

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