DUQUESNE STEEL FOUNDRY CO.
v.
BURNET, COMMISSIONER OF INTERNAL REVENUE

U.S. | 1930-11-24
No. 457
282 U.S. 830 Supreme Court of the United States (1930) Positive Treatment
Cited by 2 cases

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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…
  • …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…

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