ITT CORP. v. U.S.

Nos. 84 Civ. 5458 (PKL) to 84 Civ. 5461 (PKL).

770 F.Supp. 863 (1991)

ITT CORPORATION and Affiliated Companies, Plaintiffs, v. UNITED STATES of America, Defendant.

United States District Court, S.D. New York.

July 23, 1991.


Attorney(s) appearing for the Case

Kronish, Lieb, Weiner & Hellman, New York City, for plaintiffs; Stephen D. Gardner, Robert A. Kagan, Ann-Elizabeth Purintun and Richard F. Irwin, of counsel.

Otto G. Obermaier, U.S. Atty., S.D.N.Y., New York City, for defendant; Nancy G. Milburn, Asst. U.S. Atty., of counsel.


OPINION AND ORDER

LEISURE, District Judge.

These are four nonjury tax refund actions for the tax years 1966 through 1969. The parties have filed stipulations of partial dismissal for each case.1 Currently before the Court are the parties' cross-motions concerning the construction and enforcement of the stipulations for the tax years 1968 and 1969.

BACKGROUND

Plaintiffs ITT Corporation and its affiliated companies...

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