MAYO CLINIC v. U.S.

File No. 16-cv-03113 (ECT/KMM).

412 F.Supp.3d 1038 (2019)

MAYO CLINIC, a Minnesota Corporation, on its own behalf and as a successor in interest to Mayo Foundation, Plaintiff, v. UNITED STATES of America, Defendant.

United States District Court, D. Minnesota.

Signed August 6, 2019.

Editors Note
Applicable Law: 26 U.S.C. § 7422
Cause: 26 U.S.C. § 7422 IRS: Refund Taxes
Nature of Suit: 870 Taxes
Source: PACER


Attorney(s) appearing for the Case

Mark P. Rotatori , Jones Day, Chicago, IL; and Annamarie A. Daley , Caroline Heicklen , and Andrew Leiendecker , Jones Day, Minneapolis, MN, for Plaintiff Mayo Clinic.

Curtis J. Weidler , Samuel P. Robins , and Eric M. Aberg , U.S. Department of Justice Tax Division, Washington, DC, for Defendant the United States of America.


OPINION AND ORDER

Mayo Clinic brought this case to obtain $11,501,621 in tax refunds. Mayo qualifies for the tax refunds it seeks if, during the tax years in question, it was:

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