DocketNumber: 115
Filed Date: 2/15/1932
Status: Precedential
Modified Date: 11/15/2024
284 U.S. 599
52 S. Ct. 264
76 L. Ed. 514
Edgar Percy LEWIS et al., petitioners,
v.
Marshall S. REYNOLDS, Individually and as Collector of Internal Revenue.
No. 115.
Supreme Court of the United States
February 15, 1932
In this cause it is ordered that the following words be deleted from the sixth paragraph, of the opinion announced on January 4, 1932:
'Also that at the time of his last decision he was restricted to consideration of the demand for refund and determination of whether the trustees were entitled to deduct the State inheritance taxes.'
Otherwise the opinion will stand as heretofore announced.
8x8, Inc. v. United States ( 2017 )
Exxon Mobil Corp. v. United States ( 2003 )
Kleinfeldt v. Russell (In Re Kleinfeldt) ( 2002 )
Herrmann v. United States ( 2017 )
Philadelphia & Reading Corporation v. United States ( 1991 )
Elliot A. Sokolow, a Married Man Suing in His Separate ... ( 1999 )
Quijano v. United States ( 1996 )
Noffke v. United States ( 2016 )
Greiner v. United States ( 2015 )
Alliant Energy Corp. v. United States ( 2001 )
Alliant Energy Corp. v. United States ( 2003 )
Nordbrock v. United States ( 2001 )
Sandoval Lua v. United States ( 2015 )
Principal Life Insurance Company and Subsidiaries v. United ... ( 2014 )
Quijano v. United States ( 1996 )
Allen v. United States ( 1995 )
Thorn Lovelace v. United States ( 1991 )
Gisele C. Fisher v. United States ( 1996 )