Legal Opinion

Fruit Of The Loom, Incorporated v. Commissioner Of Internal Revenue

Court of Appeals for the Seventh Circuit

Decided January 5, 1996No. 95-1216PublishedCited by 2 opinions

1Opinion of the Court

72 F.3d 1338

77 A.F.T.R.2d 96-372, 96-1 USTC P 50,037

FRUIT OF THE LOOM, INCORPORATED, transferee of the assets

of, and primarily liable as successor by merger to,

Northwest Industries, Incorporated, transferee of the assets

of, and primarily liable as successor by merger to,

Philadelphia & Reading Corporation, Petitioner-Appellee,

v.

COMMISSIONER OF INTERNAL REVENUE, Respondent-Appellant.

No. 95-1216.

United States Court of Appeals,

Seventh Circuit.

Argued Oct. 26, 1995.

Decided Jan. 5, 1996.

Frederic L. Hahn, Roger J. Jones, Thomas C. Durham (argued), Thomas L. Kittle-Kamp, Mayer, Brown & Platt, Chicago,…

2Cases cited14 opinions

  1. United States v. DalmSupreme Court of the United States · 1990
  2. Karen Dahn v. United States of America Maureen Ames and Keith FinleyCourt of Appeals for the Tenth Circuit · 1996
  3. Philadelphia & Reading Corporation v. United StatesCourt of Appeals for the Third Circuit · 1991
  4. Michael G. O'Brien v. United StatesCourt of Appeals for the Seventh Circuit · 1985
  5. Olin Mathieson Chemical Corporation v. United StatesCourt of Appeals for the Seventh Circuit · 1959

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

3Cited by2 opinions

  1. Square D Company and Subsidiaries v. Commissioner of the Internal Revenue ServiceCourt of Appeals for the Seventh Circuit · 2006
  2. Square D Co Subsidi v. CIRCourt of Appeals for the Seventh Circuit · 2006

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