Smith v. United States

4 F. App'x 759
Court of Appeals for the Federal Circuit·Decided January 10, 2001·No. No. 00-5082·Published·Cited by 4 cases

Opinion

DECISION

PER CURIAM.

James R. Smith and Thelma J. Smith appeal from the decision of the United States Court of Federal Claims granting the government’s motion for summary judgment that the Smiths were not entitled to income tax refunds for the tax years 1991-1996. Because the Smiths have raised no genuine issue of material fact concerning their alleged entitlement to income tax refunds and have not shown that the trial court erred in holding that the government is entitled to judgment as a matter of law, we affirm.

DISCUSSION

In 1991, the Internal Revenue Service (“IRS”) assessed tax deficiencies against Mr. and Mrs. Smith for the tax years 1983 and 1984 in amounts previously litigated in the United States Tax Court.

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Smith v. United States, 4 F. App'x 759 (Fed. Cir. 2001).

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