P. LORILLARD COMPANY v. UNITED STATES


226 F.Supp. 694 (1964)

P. LORILLARD COMPANY, Plaintiff, v. UNITED STATES of America, Defendant.

United States District Court S. D. New York.

February 18, 1964.


Attorney(s) appearing for the Case

Wesley N. Fach, New York City, for plaintiff; Perkins, Daniels, McCormack & Collins, New York City, of counsel.

Robert M. Morgenthau, U. S. Atty., Southern Dist. of New York, for defendant; Clarence M. Dunnaville, Jr., Asst. U.S. Atty., of counsel.


RICHARD H. LEVET, District Judge.

The plaintiff-taxpayer, P. Lorillard Company, seeks by this tax refund action to recover $1,932.20 assessed by the Commissioner as interest on an income tax deficiency of the taxpayer for the calendar year 1958. Lorillard paid all the interest assessed and preserved its right to recover the amount by the timely filing of a claim for refund. Both the plaintiff and defendant move for summary judgment.

The facts are not in dispute...

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