SUPREME INVESTMENT CORPORATION v. UNITED STATES

Civ. A. No. 14909.

320 F.Supp. 1328 (1970)

SUPREME INVESTMENT CORPORATION v. UNITED STATES of America.

United States District Court, W. D. Louisiana, Monroe Division.

December 11, 1970.


Attorney(s) appearing for the Case

Robert L. Curry, III, Monroe, La., for plaintiff.

Johnnie M. Walters, Myron C. Baum, D. Wendell Barnett, Attys., Tax Div. U. S. Dept. of Justice, Washington, D. C., Donald E. Walter, U. S. Atty., and Edward V. Boagni, Asst. U. S. Atty. Shreveport, La., for defendant.


OPINION

DAWKINS, Chief Judge.

Supreme Investment Corporation (Supreme) seeks refund of $852 plus interest for taxes allegedly illegally and erroneously paid for the fiscal year ending November 30, 1965. As in most tax cases, what really is at issue here, under the posture of principle, is principal. The principal involved is about $83,000 of potential income which could escape taxation. The principle in question is

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