green
Positive treatment
Quoted verbatim 3×
5.8 score
G Cite
cited 3× by 1 distinct case ·
"Statements made in a tax return signed by a taxpayer may be treated as *279 admissions."
Treatment trajectory · 1970 → 2026 · click a year to view as-of
1970
1998
2026
Top citers, strongest first. 10 distinct citers.
How cited ↗
discussed
Cited as authority (quoted)
International Association of Sheet Metal, Air, Rail, and Transportation Local Union No. 10 v. A-1 Refrigeration of Hibbing, Inc.
the act covers any agreement, written or unwritten, formal or informal, which purports to resolve employment controversies between contractors and unions.
discussed
Cited as authority (quoted)
Stafford v. Commissioner
statements made in a tax return signed by a taxpayer may be treated as 279 admissions.
examined
Cited as authority (quoted)
Cistone v. Ford Motor Co.
his statute serves to borrow the shorter statute of limitations of any state where the cause of action arose, but it is not applicable to the present case because the pennsylvania statute of limitations is shorter here
cited
Cited "see"
Rodriguez v. Comm'r
See Lare v. Commissioner , 62 T.C. 739 , 750 (1974) , affd. without published opinion 521 F.2d 1399 (3d Cir. 1975) .
discussed
Cited "see"
Raul International Corp. v. Sealed Power Corp.
See Zenith Radio Corp. v. Matsushita Electric Industrial Co., Ltd., 402 F.Supp. 244, 248 (E.D.Pa.1975), pet. denied, 521 F.2d 1399 (3d Cir.1975); Fimex Corp. v. Barmatic Products Co., 429 F.Supp. 978, 979-80 (E.D.N.Y.1977), aff'd without opinion, 573 F.2d 1289 (2d Cir.1977).
cited
Cited "see"
Belmont Industries, Inc. v. Bechtel Corp.
See Schenk v. Piper Aircraft Corp., 377 F.Supp. 477 (W.D.Pa.1974), aff'd mem., 521 F.2d 1399 (3d Cir. 1975). 6 . 12A P.S. § 2-725 provides, in pertinent part, as follows: 7 .
cited
Cited "see"
Maxfield
See Lare v. Commissioner , 62 T.C. 739 , 750 (1974) , affd. without published opinion 521 F.2d 1399 (3d Cir. 1975) .
cited
Cited "see"
Baker
See Lare v. Commissioner , 62 T.C. 739 , 750 (1974) , affd. without published opinion 521 F.2d 1399 (3d Cir. 1975) . *252 Therefore, we find that Baker earned $ 578,997 in 2002.
cited
Cited "see"
Schenkel
See Lare v. Commissioner, 62 T.C. 739 , 750 (1974) , affd. without published opinion 521 F.2d 1399 ↩ (3d Cir. 1975) . 5.
discussed
Cited "see"
Biazar
See Lare v. Commissioner, 62 T.C. 739 , 750 (1974) , affd. without published opinion 521 F.2d 1399 (3d Cir. 1975). *289 The evidence presented at trial is unpersuasive and insufficient to support lower gross receipts figures.
Retrieving the full opinion text from the archive…
United States
v.
Ashton
v.
Ashton
75-1048.
Court of Appeals for the Third Circuit.
Sep 5, 1975.
521 F.2d 1399
Published
U. S.
v.
Ashton
75-1048
UNITED STATES COURT OF APPEALS Third Circuit
9/5/75
W.D.Pa., 399 F.Supp. 1192
AFFIRMED