WOODWARD IRON COMPANY v. UNITED STATES

Civ. A. No. 64-459.

254 F.Supp. 835 (1966)

WOODWARD IRON COMPANY, Plaintiff, v. UNITED STATES of America, Defendant.

United States District Court N. D. Alabama, S. D.

June 10, 1966.


Attorney(s) appearing for the Case

Paul Johnston and Meade Whitaker, of Cabaniss, Johnston, Gardner & Clark, Birmingham, Ala., for plaintiff.

Macon L. Weaver, U. S. Atty., and E. Ray Acton, Asst. U. S. Atty., Birmingham, Ala., and Louis F. Oberdorfer, Asst. Atty. Gen., C. Moxley Featherston, Myron C. Baum and Jack D. Warren, Attorneys, Department of Justice, Washington, D. C., for defendant.


OPINION

LYNNE, Chief Judge.

Contending that the Commissioner erroneously disallowed deductions of state property taxes for the calendar years 1954, 1956, and 19571 in the aggregate amount of $187,476.20, the plaintiff claims of defendant a refund of income taxes for such years in the sum of $155,275.77, with interest as allowed by law. The relevant facts may be briefly stated.

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