BULLARD COMPANY v. UNITED STATES

Nos. 479-61, 190-62.

364 F.2d 429 (1966)

The BULLARD COMPANY v. The UNITED STATES.

United States Court of Claims.

July 15, 1966.


Attorney(s) appearing for the Case

Henry W. deKosmian, New York City, attorney of record, for plaintiff. David G. Ormsby, New York City, of counsel.

Sheldon P. Migdal, Washington, D. C., with whom was Asst. Atty. Gen., Mitchell Rogovin, for defendant. Lyle M. Turner and Philip R. Miller, Washington, D. C., of counsel.

Before COWEN, Chief Judge, WHITAKER, Senior Judge, and DURFEE, DAVIS and COLLINS, Judges.


OPINION

PER CURIAM.

In this case plaintiff sues for tax refunds for each of the calendar years 1952, 1953 and 1954, based upon its right to deduct all of the taxes on its Bridgeport and Fairfield, Connecticut, properties in the year of assessment.

Although the facts in this case differ in some particulars from those in Hackensack Water Company v. United States, 352 F.2d 807, 173 Ct.Cl. ___ (November 1965), the basic...

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