PIEDMONT WAGON & MFG. CO. v. UNITED STATES

No. K—254.

6 F.Supp. 125 (1934)

PIEDMONT WAGON & MFG. CO. v. UNITED STATES.

Court of Claims.

March 5, 1934.


Attorney(s) appearing for the Case

Marion Butler, of Washington, D. C., for plaintiff.

John W. Hussey and W. W. Scott, both of Washington, D. C., for the United States.

Before BOOTH, Chief Justice, and GREEN, LITTLETON, WILLIAMS, and WHALEY, Judges.


LITTLETON, Judge.

The claim for additional interest on the overpayment for 1917 credited on March 31, 1926, to a tax due for 1920 cannot be allowed. This credit was made under section 1116 of the Revenue Act of 1926 (26 USCA § 153 note), which provides that interest on overpayments credited shall be paid only to the due date of the tax against which credited. The Commissioner computed and paid interest to the due date of the 1920 tax in accordance with the statute...

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