Alfred P. Johns, Administrator of the Estate of William A. Johns, Deceased v. The Baltimore and Ohio Railroad Company, a Corporation, Mary U. Johns v. The Baltimore and Ohio Railroad Company, a Corporation

239 F.2d 385
Court of Appeals for the Third Circuit·Decided January 7, 1957·No. 12016_1·Published·Cited by 4 cases

Opinion

239 F.2d 385

Alfred P. JOHNS, Administrator of the Estate of William A.
Johns, Deceased,
v.
The BALTIMORE AND OHIO RAILROAD COMPANY, a Corporation, Appellant.
Mary U. JOHNS,
v.
The BALTIMORE AND OHIO RAILROAD COMPANY, a Corporation, Appellant.

Nos. 12015, 12016.

United States Court of Appeals Third Circuit.

Argued Dec. 4, 1956.
Decided Jan. 7, 1957.

Vincent M. Casey, Pittsburgh, Pa. (Marvin D. Power, Margiotti & Casey, Pittsburgh, Pa., on the brief), for appellant.

Wray G. Zelt, Washington, Pa. (Bloom, Bloom & Yard, Washington, Pa., on the brief), for appellees.

Before BIGGS, Chief Judge, KALODNER, Circuit Judge, and KRAFT, district judge.

PER CURIAM.

We have examined carefully the briefs and record in these appeals and considered the oral argument of the parties. The court below committed no reversible error and consequently the judgments appealed from, 143 F.Supp. 15, will be affirmed.

Free access — add to your briefcase to read the full text and ask questions with AI

Alfred P. Johns, Administrator of the Estate of William A. Johns, Deceased v. The Baltimore and Ohio Railroad Company, a Corporation, Mary U. Johns v. The Baltimore and Ohio Railroad Company, a Corporation, 239 F.2d 385 (3d Cir. 1957).

239 F.2d 385 (Alfred P. Johns, Administrator of the Estate of William A. Johns, Deceased v. The Baltimore and Ohio Railroad Company, a Corporation, Mary U. Johns v. The Baltimore and Ohio Railroad Company, a Corporation) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

Related

Marks v. Mobil Oil Corp.
562 F. Supp. 759 (E.D. Pennsylvania, 1983)
Gatenby v. Altoona Aviation Corp.
268 F. Supp. 599 (W.D. Pennsylvania, 1967)
Spero v. Commissioner
30 T.C. 845 (U.S. Tax Court, 1958)