UNITED STATES v. PEELLE COMPANY

Civ. A. No. 15192.

137 F.Supp. 905 (1956)

UNITED STATES of America, Plaintiff, v. The PEELLE COMPANY et al., Defendants.

United States District Court E. D. New York.

January 20, 1956.


Attorney(s) appearing for the Case

Leonard P. Moore, U. S. Atty., Brooklyn, N. Y., for plaintiff, Richard C. Packard, Brooklyn, N. Y., and Robert J. Grimmig, E. Rockaway, N. Y., of counsel.

John R. Bartels, New York City, for receiver.

Parker, Chapin & Flattau, New York City, for Henry E. Peelle, Jr., and Robert B. Peelle, Russell S. Knapp, New York City, of counsel.


ABRUZZO, District Judge.

Part I

Background of Case

This action is brought by the United States of America against the Peelle Company under Section 7403 of the Internal Revenue Code of 1954 to foreclose federal income tax liens assessed under Title 26, United States Code, § 3670 (now Section 6321 of the Internal Revenue Code of 1954). The complaint was filed in the Office of the Clerk of this Court on January 28, 1955. On that date a...

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