KEYSTONE MUT. CASUALTY CO. v. DRISCOLL

No. 8096.

137 F.2d 907 (1943)

KEYSTONE MUT. CASUALTY CO. v. DRISCOLL, Collector of Internal Revenue.

Circuit Court of Appeals, Third Circuit.

Decided August 13, 1943.


Attorney(s) appearing for the Case

David B. Buerger, of Pittsburgh, Pa. (Smith, Buchanan & Ingersoll, of Pittsburgh, Pa., on the brief), for appellant.

Paul R. Russell, of Washington, D.C. (Samuel O. Clark, Jr., Asst. Atty. Gen., Sewall Key and A. F. Prescott, Sp. Assts. to Atty. Gen., and Charles F. Uhl, U. S. Atty., of Pittsburgh, Pa., on the brief), for appellee.

Before BIGGS, JONES, and GOODRICH, Circuit Judges.


BIGGS, Circuit Judge.

The question presented by the appeal at bar is whether the taxpayer, Keystone Mutual Casualty Company, is entitled to the exemption from income taxes provided by Sections 101(11) of the Revenue Acts of 1936 and 1938, 49 Stat. 1648, 1674 and 52 Stat. 447, 481, 26 U.S.C.A. Int.Rev.Code, § 101(11).1 The complaint arose under the Act of March 3, 1887, c. 359, §§ 1, 2, 24 Stat. 505, as amended, 28 U.S.C...

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