REED
v.
PENNSYLVANIA RAILROAD CO.
REED
PENNSYLVANIA RAILROAD CO.
350 U.S. 965
Supreme Court of the United States (1956)
Positive Treatment
Cited by 29 cases
Opinion
Full opinion text not available for this case.
Cases With Similar Vibessemantic neighbors from the corpus
Citator
Cited By (29 total)
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Pollard v. United States, 352 U.S. 354 (U.S. 1957)…f Appeals denied this motion without opinion. This Court granted leave to proceed in forma pauperis, and, deeming the issues as to the validity of the 1954 sentence of importance in the proper administration of the criminal law, granted certio-rari. 350 U. S. 965. We also appointed counsel for petitioner. 350 U. S. 980. Petitioner was released from federal prison in March 1956, after his petition for certiorari had been granted. He relies on United States v. Morgan, 346 U. S. 502, 512-513, and Fiswick v. Un…
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Taglianetti v. United States, 398 F.2d 558 (1st Cir. 1968)…worth would have no support in the record. Under these circumstances the court’s instruction was not error. Pacheco v. United States, 367 F. 2d 878, 880-881 (10th Cir. 1906); Davis v. United States, 226 F. 2d 331, 336 (6th Cir. 1955), cert. denied, 350 U.S. 965, 76 S.Ct. 432, 100 L.Ed. 838 (1956). “In determining whether or not said expenditures, if in fact they were made by the defendant as claimed by the Government, were made from taxable income and not from nontaxable receipts, you should consider whet…
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United States v. Miller, 545 F.2d 1204 (9th Cir. 1976)…verted funds must be treated as income to the taxpayers without regard to any tangential factors such as earnings and profits of the corporation. The government primarily relies on Davis v. United States, 226 F. 2d 331 (6th Cir. 1955), cert. denied, 350 U.S. 965, 76 S.Ct. 432, 100 L.Ed.2d 838 (1956). In Davis, a criminal tax proceeding, [*1213] it was held that where the taxpayer diverted for his own use the income of a wholly-owned corporation, such income was taxable to him irrespective of whether the cor…
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