BROADHEAD v. ENOCHS

Civ. A. Nos. 724, 723, 675, 684, 679.

179 F.Supp. 876 (1959)

Sam E. BROADHEAD, Plaintiff, v. James L. ENOCHS, Director of Internal Revenue, Defendant.

United States District Court S. D. Mississippi, E. D.

December 23, 1959.


Attorney(s) appearing for the Case

O. Winston Cameron and deQuincy V. Sutton, Meridian, Miss., for Mr. Broadhead.

Robert E. Hauberg, U. S. Atty., Jackson, Miss., Carrington Williams and Arthur L. Biggins, Attys. U. S. Dept. of Justice, Tax Division, Washington, D. C., for defendant.


CLAYTON, District Judge.

This is a consolidation of five separate complaints filed by plaintiff to recover additional income taxes and penalties assessed for the years 1940, 1941, 1942, 1944, and 1945. Payment of these assessments was made June 26, 1952, and the complaints seek interest from the date of payment. At the time these assessments were made, the statute of limitations had been extended by written consent from plaintiff for the year 1941 only. For the other...

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