United States of America v. Kenneth L. Carpenter, Individually, Etc. v. James E. Little, Intervenors-Appellants
Court of Appeals for the Fifth Circuit
1Opinion of the Court
ORDER
Before WISDOM, COLEMAN, and SIMPSON, Circuit Judges. PER CURIAM:
The Internal Revenue Service brought an action to enforce summonses served on Carpenter and CCW Electronics, Inc. The appellants, James E. Little, Virgyl D. Johnson, R. E. McCrory, and J & C Enterprises, Inc., whose tax liabilities are the subject of the investigation, sought permission to intervene in the enforcement action. January 26, 1970, the district court denied leave to intervene and ordered Carpenter and CCW Elec ironies to comply with the summonses. No stay was issued, and Carpenter and CCW Electronics fully…
2Cases cited1 opinion
- J. W. Baldridge v. United States of America and Donald B. Nettles, Special Agent of the Internal Revenue ServiceCourt of Appeals for the Fifth Circuit · 1969
3Cited by14 opinions
- United States v. HankinsCourt of Appeals for the Fifth Circuit · 1978
- United States v. BarrettCourt of Appeals for the Fifth Circuit · 1988
- Kenneth D. Barney and Madeline L. Barney v. United States of America, Charles A. Smith, Special Agent of the Internal Revenue ServiceCourt of Appeals for the Eighth Circuit · 1978
- United States v. Arthur Andersen & Co.Court of Appeals for the First Circuit · 1980
- United States of America and Gilbert Ledger, Revenue Officer, Internal Revenue Service v. Richard A. SherlockCourt of Appeals for the Fifth Circuit · 1985
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