SOCONY-VACUUM OIL CO. v. UNITED STATES

No. 177.

146 F.2d 853 (1945)

SOCONY-VACUUM OIL CO., Inc., v. UNITED STATES.

Circuit Court of Appeals, Second Circuit.

January 23, 1945.


Attorney(s) appearing for the Case

R. Kemp Slaughter, of Washington, D.C., and Herbert C. Smyth, Jr., of New York City, for plaintiff-appellant.

John F. X. McGohey, U. S. Atty., of New York City (Laurence H. Axman, Asst. U. S. Atty., of New York City, of counsel), for defendant-appellee.

Before CHASE, HUTCHESON, and FRANK, Circuit Judges.


PER CURIAM.

Reference is made to the opinion below, Socony-Vacuum Oil Co. v. United States, D.C., 52 F.Supp. 637, for a statement of the pertinent facts. The claim for refund was specific in respect to deductions claimed on account of credit for foreign income taxes but otherwise was so general that it amounted to an attempt by way of a catchall provision to toll the statute of limitations completely pending whatever amendment...

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