neutral
Cited (no substantive treatment)
0.8 score
Treatment trajectory · 1949 → 2026 · click a year to view as-of
1949
1987
2026
Retrieving the full opinion text from the archive…
E. T. WEIR, Petitioner,
v.
COMMISSIONER OF INTERNAL REVENUE, Respondent.
v.
COMMISSIONER OF INTERNAL REVENUE, Respondent.
9788.
Court of Appeals for the Third Circuit.
Feb 23, 1949.
Biggs, Chief Judge, and O'Connell and Kalodner, Circuit Judges.
Published
John E. Laughlin, Jr., of Pittsburgh, Pa. (Thorp, Bostwick, Reed & Armstrong, of Pittsburgh, Pa., on the brief), for petitioner.
Sumner M. Redstone, of Washington, D. C. (Theron Lamar Caudle, Asst. Atty. Gen., and Ellis N. Slack, Sp. Asst. to Atty. Gen., on the brief), for respondent.
Before BIGGS, Chief Judge, and O'CONNELL and KALODNER, Circuit Judges.
PER CURIAM.
The decision of the Tax Court will be affirmed upon its opinion as reported at 10 T.C. 996.