REVERE COPPER & BRASS v. UNITED STATES

No. M—274.

3 F.Supp. 157 (1933)

REVERE COPPER & BRASS, Inc., et al. v. UNITED STATES.

Court of Claims.

April 10, 1933.


Attorney(s) appearing for the Case

Percy W. Phillips, Richard B. Barker, and Brewster, Ivins & Phillips, all of Washington, D. C., for plaintiffs.

George H. Foster, of Washington, D. C., and Charles B. Rugg, Asst. Atty. Gen., for the United States.

Before LITTLETON, WHALEY, WILLIAMS, and GREEN, Judges.


LITTLETON, Judge.

Plaintiffs contend that the credit of $20,116.89 of the overpayment for 1917 in May, 1926, against taxes admittedly due for the years 1911 to 1916, inclusive, was void for the reason, first, that the tax for these years was assessed after the expiration of the period of limitation for assessment inasmuch as the limitation properly applicable to the years 1911 to 1916 had expired before the assessments were made in May, 1926; second, that the waiver...

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