THORNTON v. UNITED STATES

No. 49112.

102 F.Supp. 554 (1952)

THORNTON v. UNITED STATES.

United States Court of Claims.

February 5, 1952.


Attorney(s) appearing for the Case

Llewellyn A. Luce, Washington, D. C., for the plaintiff.

John A. Rees, Washington, D. C., with whom was Asst. Atty. Gen. Theron Lamar Caudle, for the defendant. Andrew D. Sharpe and Ellis N. Slack, Washington, D. C., were on the brief.

Before JONES, Chief Judge, and LITTLETON, WHITAKER, MADDEN and HOWELL, Judges.


MADDEN, Judge.

In 1944 the Collector of Internal Revenue for the Second District of Texas made a demand upon the plaintiff, Otis Thornton, and upon a partnership of which he had been a member, for taxes asserted to be due under the Federal Insurance Contributions Act and the Federal Unemployment Tax Act for several years prior to 1944. Thereupon Thornton paid on behalf of himself and the partnership $5,891.36 in taxes, interest, and penalties. Thornton is, by succession...

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