LEDFORD v. U.S.

No. 02-5027.

297 F.3d 1378 (2002)

Charles William LEDFORD, Plaintiff-Appellant, v. UNITED STATES, Defendant-Appellee.

United States Court of Appeals, Federal Circuit.

August 6, 2002.


Attorney(s) appearing for the Case

Charles William Ledford, of Colorado Springs, CO, pro se.

Robert L. Baker, Attorney, Appellate Section, Tax Division, Department of Justice, of Washington, DC, for defendant-appellee. With him on the brief were Eileen J. O'Connor, Assistant Attorney General; and David I. Pincus, Attorney.

Before CLEVENGER, RADER, and BRYSON, Circuit Judges.


PER CURIAM.

Charles William Ledford appeals the United States Court of Federal Claims's order dismissing his complaint for lack of jurisdiction. We affirm.

I

Mr. Ledford paid no federal income tax for the years 1996, 1997 or 1998. He reported no taxable income in those years because, in his view, the federal income tax does not reach compensation received for personal labor. The Internal Revenue Service (IRS), which disagrees with this proposition...

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