BOISE CASCADE CORP. v. UNITED STATES

Nos. 321-69 and 81-71.

530 F.2d 1367 (1976)

BOISE CASCADE CORPORATION and Subsidiary Companies v. The UNITED STATES.

United States Court of Claims.

January 28, 1976.


Attorney(s) appearing for the Case

Norton Kern, New York City, attorney of record for plaintiff; Lawrence C. Wilson, Reid & Priest, New York City, of counsel.

Donald H. Olson, Washington, D.C., with whom was Asst. Atty. Gen. Scott P. Crampton, Washington, D.C., for defendant; Theodore D. Peyser, Jr., Washington, D.C., of counsel.

Before LARAMORE, Senior Judge, and DAVIS, SKELTON, NICHOLS, KASHIWA, KUNZIG and BENNETT, Judges.


OPINION

PER CURIAM:

These are consolidated cases, in which plaintiffs seek the recovery of nearly $2,400,000 in income taxes plus interest thereon, paid for the years 1955 through 1961. They now come before the court on exceptions by the parties to the recommended decision filed by Trial Judge Lloyd Fletcher, on September 20, 1974, pursuant to Rule 134(h), having been submitted to the court on the briefs and oral argument of counsel. He held for the plaintiffs...

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