DUQUESNE STEEL FOUNDRY CO.
v.
BURNET, COMMISSIONER OF INTERNAL REVENUE
DUQUESNE STEEL FOUNDRY CO.
BURNET, COMMISSIONER OF INTERNAL REVENUE
282 U.S. 830
Supreme Court of the United States (1930)
Positive Treatment
Cited by 2 cases
Opinion
Full opinion text not available for this case.
Cases With Similar Vibessemantic neighbors from the corpus
Citator
Cited By
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Grp. NO. 1 OIL Corp. v. Bass, 283 U.S. 279 (U.S. 1931)…y, had been waived by the State by § 27 of Chapter 83, Laws of 1917, which provided that rights acquired under leases, including the present ones, were to be “ subject to taxation as is othér property.” 41 F. (2d) 483. This Court granted certiorari, 282 U. S. 830. [*281] Petitioner’s leases relate to parts of the public domain of the State, set apart by the legislature for the benefit of the state university, under a mandate of the State Constitution of 1876, Art. 7, §§ 10-15, inclusive. See Texas Laws, 1917…
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R. Simpson & Co., Inc. v. Commissioner of Internal Revenue, 321 U.S. 225 (U.S. 1944)…ppears that we have a number of times granted certiorari to review decisions in cases originating with the [*229] Tax Court after once denying the petitions, Duquesne Steel Foundry Co. v. Burnet, certiorari denied, 282 U. S. 878, certiorari granted, 282 U. S. 830; Neuberger v. Commissioner, certiorari denied, 308 U. S. 623, certiorari granted, 310 U. S. 655; Crane-Johnson Co. v. Commissioner, certiorari denied, 308 U. S. 627, certiorari granted, 309 U. S. 692; Helvering v. Cement Investors, certiorari denied…