Givaudan Delawanna, Inc. v. United States
39 Cust. Ct. 469
United States Customs Court·Decided October 23, 1957·No. No. 61289; protest 305291-K (New York)·Published
Opinion
Opinion by
In accordance with stipulation of counsel that the merchandise consists of Satol, which product is not obtained from any oil, fat, or fatty acids described in the Internal Revenue Code, but is derived from olive oil, which is not covered by the statute, the claim of the plaintiff was sustained.
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Givaudan Delawanna, Inc. v. United States, 39 Cust. Ct. 469 (cusc 1957).
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