DEPT. OF TREASURY v. INGRAM-RICHARDSON MFG. CO.

No. 655.

313 U.S. 252 (1941)

DEPARTMENT OF TREASURY OF INDIANA ET AL. v. INGRAM-RICHARDSON MANUFACTURING CO. OF INDIANA, INC.

Supreme Court of United States.

Decided May 5, 1941.


Attorney(s) appearing for the Case

Mr. Joseph P. McNamara, Deputy Attorney General of Indiana, with whom Messrs. George N. Beamer, Attorney General, and Joseph W. Hutchinson, Deputy Attorney General, were on the brief, for petitioners.

Mr. Earl B. Barnes, with whom Messrs. Alan W. Boyd and Charles M. Wells were on the brief, for respondent.


MR. CHIEF JUSTICE HUGHES delivered the opinion of the Court.

The Circuit Court of Appeals, affirming the District Court, has held that respondent, Ingram-Richardson Manufacturing Company, is entitled to a refund of a tax levied under the Indiana Gross Income Tax Law,1 upon the ground of the invalidity of the tax under the commerce clause of the Federal Constitution. 114 F.2d 889. We granted certiorari...

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