B.F. GOODRICH CO. v. U.S.

No. 95-5064.

94 F.3d 1545 (1996)

B.F. GOODRICH COMPANY, Plaintiff-Appellant, v. The UNITED STATES, Defendant-Appellee.

United States Court of Appeals, Federal Circuit.

August 2, 1996.


Attorney(s) appearing for the Case

Rory D. Lyons, Jones, Day, Reavis & Pogue, Atlanta, Georgia, argued, for plaintiff-appellant. With him on the brief were David E. Miller, Washington, DC, and Carl M. Jenks, Cleveland, Ohio.

Stuart J. Bassin, Attorney, Tax Division, Department of Justice, Washington, DC, argued, for defendant-appellee. With him on the brief were Loretta C. Argrett, Assistant Attorney General, Gary R. Allen, Chief, Appellate Section, and David I. Pincus, Attorney.

Before MICHEL, Circuit Judge, NIES, Senior Circuit Judge, and LOURIE, Circuit Judge.


NIES, Senior Circuit Judge.

B.F. Goodrich appeals the judgment of the United States Court of Federal Claims denying its claims for a tax refund. The court granted the government's motion for summary judgment, concluding that Goodrich was not entitled to take additional depreciation deductions on property that qualified for an investment tax credit. The court also rejected Goodrich's alternative contention that it was entitled to deductions under 26 U.S.C. § 196...

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