FRANCE STONE COMPANY v. COMMISSIONER OF INTERNAL REVENUE

No. 9274.

135 F.2d 463 (1943)

FRANCE STONE COMPANY, Petitioner, v. COMMISSIONER OF INTERNAL REVENUE, Respondent.

Circuit Court of Appeals, Sixth Circuit.

Writ of Certiorari Denied May 3, 1943.


Attorney(s) appearing for the Case

John J. Kendrick, of Toledo, Ohio, for petitioner.

Samuel O. Clark, Jr., J. P. Wenchel, Sewall Key, C. R. Marshall, Helen R. Carloss, and Mamie S. Price, all of Washington, D. C. for respondent.

Before SIMONS, HAMILTON, and MARTIN, Circuit Judges.


Writ of Certiorari Denied May 3, 1943. See 63 S.Ct. 1031, 87 L.Ed. ___.

PER CURIAM.

It appearing in this cause that the Commissioner of Internal Revenue had re-determined the federal income tax liability of the petitioner for 1937 and asserted a deficiency because of a tax liability upon undistributed profits pursuant to Sec. 26(c) (1) of the Revenue Act of 1936, 26 U.S.C. A. Int.Rev.Acts, page 836, and that the respondent's determination was approved by the...

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