Legal Opinion

Cathbake Investment Company, Inc. v. Fisk Electric Company, Inc.

Court of Appeals for the Eleventh Circuit

Decided March 14, 1983No. 81-7752PublishedCited by 34 opinions

1Opinion of the Court

CLARK, Circuit Judge:

Appellant Fisk Electric Company, Inc. (“Fisk”), a Texas corporation, organized a wholly-owned subsidiary, Dyer Electric Company, Inc. (“Dyer”), under the laws of Alabama in 1972. From May 1972, until December 31, 1977, Fisk, together with Dyer and its other wholly-owned subsidiaries, filed consolidated federal income tax returns. At all times applicable, both Fisk and Dyer were on the calendar year basis for tax reporting purposes.

In connection with the filing of Fisk’s consolidated income tax return, it was Fisk’s practice to have the estimated tax credit or debit…

2Cases cited4 opinions

  1. Suburban Realty Company v. United StatesCourt of Appeals for the Fifth Circuit · 1980
  2. Mass Appraisal Services, Inc. v. CarmichaelSupreme Court of Alabama · 1981
  3. Gibson v. AndersonSupreme Court of Alabama · 1956
  4. MEDICAL CLINIC BD., ETC. v. SmelleySupreme Court of Alabama · 1981

3Cited by34 opinions

  1. Cox v. American Cast Iron Pipe Co.Court of Appeals for the Eleventh Circuit · 1986
  2. Woods v. CommissionerUnited States Tax Court · 1989
  3. Rci Northeast Services Division v. Boston Edison CompanyCourt of Appeals for the First Circuit · 1987
  4. United States v. Antonio Jose Hurtado, Mark Anthony Olson, Diego Alonzo Flores-Soto, Hector Albert Rua and Jose Pita AndradeCourt of Appeals for the Eleventh Circuit · 1985
  5. Orkin Exterminating Company, Inc. v. Federal Trade CommissionCourt of Appeals for the Eleventh Circuit · 1988

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