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Forrest L. MOE and Edith B. Moe, Appellants, v. Hugh H. EARLE, Former Collector of Internal Revenue at Portland, Oregon, Appellee

United States Court of Appeals for the Ninth Circuit1955-10-28No. No. 14623
226 F.2d 583

Authorities cited

No cited authorities resolved to law.co cases yet.

Opinion

majority opinion

PER CURIAM.

This appeal raises complicated questions of income taxation in regard to the withholding of a portion of the proceeds derived from the handling and marketing of apples by a cooperative organization. The appeal is from a judgment of the district court by which the court denied to taxpayer a refund of amounts paid under protest.

The judgment is affirmed without a reasoned opinion because we adhere to the general principles expressed in our opinion in the case of Caswell’s Estate v. C. I. R., 1954, 9 Cir., 211 F.2d 693. See also C. I. R. v. Carpenter, 5 Cir., 1955, 219 F.2d 635.