Protests 989717-G of Burns Lumber Co.
6 Cust. Ct. 651
Opinion
Opinion by
In accordance with stipulation of counsel and on the authority of Seaboard v. United States (5 Oust. Ct. 161, C. D. 391) it was held that the tax under section 601 (c) (6), Revenue Act of 1932, should have been assessed only on the net footage of the lumber in question.
Free access — add to your briefcase to read the full text and ask questions with AI
Protests 989717-G of Burns Lumber Co., 6 Cust. Ct. 651 (cusc 1941).
6 Cust. Ct. 651 (Protests 989717-G of Burns Lumber Co.) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.