CHARLES LEICH AND COMPANY v. UNITED STATES

Nos. 367-56 and 419-56.

333 F.2d 871 (1964)

CHARLES LEICH AND COMPANY v. The UNITED STATES.

United States Court of Claims.

June 12, 1964.


Attorney(s) appearing for the Case

Henry B. Walker, Jr., Evansville, Ind., for plaintiff.

David D. Rosenstein, Washington, D. C., with whom was Asst. Atty. Gen., Louis F. Oberdorfer, for defendant. C. Moxley Featherston and Lyle M. Turner, Washington, D. C. on the brief.

Before JONES, Chief Judge and WHITAKER, LARAMORE, DURFEE and DAVIS, Judges.


LARAMORE, Judge.

The taxpayer, by motion filed April 13, 1964, has requested a rehearing and amendment of judgment in cases numbered 367-56 and 419-56, decided March 13, 1964, 329 F.2d 649. In Case No. 367-56, we held that certain remittances made by the taxpayer to the Collector of Internal Revenue during the years 1952 and 1953 were "deposits in the nature of a cash bond" rather than payments of an Internal Revenue tax. (Slip op...

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