TAX LIABILITY OF NORDA ESSENTIAL OIL & CHEMICAL CO.


142 F.Supp. 868 (1956)

Tax Liability of NORDA ESSENTIAL OIL AND CHEMICAL COMPANY, Inc., of the Lower Manhattan District.

United States District Court S. D. New York.

July 18, 1956.


Attorney(s) appearing for the Case

Abraham A. Wedeen, New York City, Robert Ash, Washington, D. C., for Petitioner, Norda Essential Oil and Chemical Co., Inc.

Paul W. Williams, U. S. Atty., for the Southern District of New York, New York City, for the United States, Clement J. Hallinan, Jr., Asst. U. S. Atty., New York City, of counsel.


LEVET, District Judge.

On the 13th day of March, 1956, the United States Internal Revenue Service served upon Norda Essential Oil and Chemical Company, Inc. (hereinafter called "Norda") by registered mail a formal ninety-day notice of "deficiency" of income tax liability for the taxable year ending 1952. This tax determination was appealed to the Tax Court of the United States on April 18, 1956. The notice of deficiency was issued under the authority of Section 6212...

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