Riggs National Bank v. United States
United States Court of Claims
1Opinion of the Court
Per Curiam :
This is a suit by the taxpayer, as trustee under the will of Joseph S. Justh (a District of Columbia *481decedent), to recover fiduciary income taxes paid during, the years 1951 through 1960. The claim is that these taxes should not have been collected because they were levied on income permanently set aside for charitable purposes under the will.1 As originally presented to the court, the plaintiff’s contention was that the will directed the trustee to dispose of the trust’s accumulated surplus income, at the end of the trust in 1970, to four charities (named in the will) which were…
2Cases cited6 opinions
- Commissioner of Internal Revenue v. Citizens & Southern Nat. BankCourt of Appeals for the Fifth Circuit · 1945
- Arthur Jordan Foundation v. Commissioner of Internal ReveuneCourt of Appeals for the Seventh Circuit · 1954
- Estate of Freund v. CommissionerCourt of Appeals for the Second Circuit · 1962
- Riggs National Bank v. HoltmanDistrict Court, District of Columbia · 1963
- The American National Red Cross v. Charlotte S. Holtman, Elmer S. Justh v. Charlotte S. HoltmanCourt of Appeals for the D.C. Circuit · 1965
1 more not listed; retrieve them via the Exa API.
3Cited by6 opinions
- Furman v. CommissionerUnited States Tax Court · 1966
- Mott v. United StatesUnited States Court of Claims · 1972
- Van Buren v. CommissionerUnited States Tax Court · 1987
- Crestar Bank v. Internal Revenue ServiceDistrict Court, E.D. Virginia · 1999
- Furman v. CommissionerUnited States Tax Court · 1966
1 more not listed; retrieve them via the Exa API.