Legal Opinion

Levi Strauss Realty Co. v. United States

Court of Appeals for the Ninth Circuit

Decided May 19, 1930No. 6016PublishedCited by 6 opinions

1Opinion of the Court

RUDKIN, Circuit Judge.

March 15,1922, Levi Strauss Realty Company, a corporation, filed with the collector of internal revenue at San Francisco its income and profits tax return for the calendar year 1921, reporting a net income subject to tax in the sum of $48,259.93, upon which there was assessed a tax of $4,825.99. The Commissioner of Internal Revenue reviewed and audited the return and -found and determined that the net income of the taxpayer for the year in question was the sum of $48,259.-93, as reported. The tax thus assessed was paid in installments during the year 1922.

March 15, 1922,…

2Cases cited1 opinion

  1. Alameda Inv. Co. v. McLaughlinCourt of Appeals for the Ninth Circuit · 1929

3Cited by6 opinions

  1. Radiant Glass Co. v. BurnetCourt of Appeals for the D.C. Circuit · 1931
  2. Commissioner of Internal Revenue v. SaltonstallCourt of Appeals for the First Circuit · 1941
  3. Baltimore & O. R. v. CommissionerCourt of Appeals for the Fourth Circuit · 1935
  4. Pictorial Review Co. v. CommissionerUnited States Board of Tax Appeals · 1932
  5. Textron, Inc. v. United StatesCourt of Appeals for the First Circuit · 1977

1 more not listed; retrieve them via the Exa API.

Showing a preview — retrieve the full document via the Exa API.

Powered by the Exa API