ARUNDEL CORPORATION v. UNITED STATES

No. 45947.

62 F.Supp. 950 (1945)

ARUNDEL CORPORATION v. UNITED STATES.

Court of Claims.

November 5, 1945.


Attorney(s) appearing for the Case

Wm. S. Hammers, of Washington, D. C., for plaintiff.

John A. Rus, of Washington, D. C., and Samuel O. Clark, Jr., Asst. Atty. Gen. (Robert N. Anderson and Fred K. Dyar, both of Washington, D. C., on the brief), for defendant.

Before WHALEY, Chief Justice, LITTLETON, WHITAKER, MADDEN, and JONES, Judges.


LITTLETON, Judge.

Although we are of opinion on the facts and under the decided cases that the controverted item in the net amount of $12,649.40 was taxable income for 1936 under the accrual method of accounting, it is not necessary to discuss in this connection the facts and the decided cases for the reason that the facts show the suit was barred by the statute of limitation of two years at the time the petition was filed.

During 1926 plaintiff made and performed...

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