From Casetext: Smarter Legal Research

George Kemp Real Est. v. C.I.R

United States Court of Appeals, Second Circuit
Jun 18, 1953
205 F.2d 236 (2d Cir. 1953)

Opinion

No. 62, Docket 22373.

Argued May 6, 1953.

Decided June 18, 1953.

Alexander S. Andrews, New York City, for petitioner.

H. Brian Holland, Asst. Atty. Gen., Ellis N. Slack and Harry Marselli, Special Assts. to the Atty. Gen., for Commissioner of Internal Revenue, respondent.

Before AUGUSTUS N. HAND, CHASE and CLARK, Circuit Judges.


Since the Tax Court based its decision on the application as a matter of law of the doctrine of collateral estoppel, we have jurisdiction to review despite the provisions of § 732(c) of the Internal Revenue Code, 26 U.S.C.A. § 732(c). Compare H. Fendrich, Inc. v. Commissioner, 7 Cir., 192 F.2d 916 with George Kemp Real Estate Co. v. Commissioner, 2 Cir., 182 F.2d 847, certiorari denied 340 U.S. 852, 71 S.Ct. 80, 95 L.Ed. 624. The decision was not, in the language of the statute, "necessary solely by reason of section * * * 722."

The principles of collateral estoppel were correctly applied and the decision is affirmed on the opinion of the Tax Court, 17 T.C. 755.


Summaries of

George Kemp Real Est. v. C.I.R

United States Court of Appeals, Second Circuit
Jun 18, 1953
205 F.2d 236 (2d Cir. 1953)
Case details for

George Kemp Real Est. v. C.I.R

Case Details

Full title:GEORGE KEMP REAL ESTATE CO. v. COMMISSIONER OF INTERNAL REVENUE

Court:United States Court of Appeals, Second Circuit

Date published: Jun 18, 1953

Citations

205 F.2d 236 (2d Cir. 1953)

Citing Cases

United States Rubber Co. v. C.I.R

Consequently, we hold that under § 732(c) we are without jurisdiction to review. Our conclusion is in accord…

Stern Stern Textiles, Inc. v. C.I.R

The contention is based on § 732(c), 26 U.S.C.A. Excess Profits Taxes, § 732, set forth in the margin.…