ZELLERBACH PAPER CO. v. HELVERING

Nos. 7209-7211.

69 F.2d 852 (1934)

ZELLERBACH PAPER CO. v. HELVERING, Commissioner of Internal Revenue (two cases). NATIONAL PAPER PRODUCTS CO. v. SAME.

Circuit Court of Appeals, Ninth Circuit.

February 28, 1934.


Attorney(s) appearing for the Case

John Francis Neylan and J. Paul Miller, both of San Francisco, Cal., for petitioners.

Sewall Key and Francis H. Horan, Sp. Assts. Atty. Gen., for respondent.

Before WILBUR, SAWTELLE, and GARRECHT, Circuit Judges.


WILBUR, Circuit Judge.

Petitioners seek a review of the decision of the Board of Tax Appeals sustaining deficiency tax assessed upon the incomes of the petitioners for their taxable year ending April 30, 1921. A consolidated return was filed by the Zellerbach Paper Company and its affiliated corporations, the National Paper Company, and the A. S. Hopkins Company, on July 16, 1921, while the Revenue Act of 1918 (40 Stat. 1057) was in force and before the enactment...

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