28 U.S.C. § 1507
Jurisdiction for certain declaratory judgments
The United States Court of Federal Claims shall have jurisdiction to hear any suit for and issue a declaratory judgment under section 7428 of the Internal Revenue Code of 1986.
Notes of Decisions
Cited in 42
cases (1 in the last 5 years), 1976–2025 · leading case: United States v. Mitchell, 463 U.S. 206 (1983).
United States v. Mitchell, 463 U.S. 206 (1983). “See 28 U. S. C. § 1507 (actions under § 7428 of the Internal Revenue Code of 1954); Austin v.”
Skillo v. United States, 68 Fed. Cl. 734 (Fed. Cl. 2005). “, 26 U.S.C. §§ 6212 (a) and (c), 6213(a), 6225(b), 6246(b), and 7429(b).”
Eco Tour Adventures, Inc. v. United States, 114 Fed. Cl. 6 (Fed. Cl. 2013). “This court has statutory authority to award equitable relief in certain types of tax cases, see 28 U.S.C. § 1507 (2006); in “nonmonetary disputes” arising under the CDA, see 28 U.”
Girling Health Sys. Inc. v. United States, 22 Cl. Ct. 66 (Ct. Cl. 1990). “Similarly, 28 U.S.C. § 1507 (1988), granting this Court limited authority to grant declaratory judgment with respect to the tax code, is by its express language inapplicable here.”
Dumont v. United States, 85 Fed. Cl. 425 (Fed. Cl. 2009). “They include cases filed under 28 U.S.C. § 1507 (grant of jurisdiction to hear declaratory judgment actions under 26 U.”
Buser v. United States, 85 Fed. Cl. 248 (Fed. Cl. 2009). “For example, the court may entertain declaratory judgment actions pursuant to 28 U.S.C. § 1507 , which concerns classification of entities pursuant to 26 U.”
Amoco Prod. Co. v. Donald P. Hodel, Sec'y of Dep't of the Interior, Defendants, 815 F.2d 352 (5th Cir. 1987). “2d 140 (1975); 28 U.S.C. § 1507 (actions under § 7428 of the Internal Revenue Code of 1954).”
Gluck v. United States, 84 Fed. Cl. 609 (Fed. Cl. 2008). “For example, the court may entertain declaratory judgment actions pursuant to 28 U.S.C. § 1507 , which concerns classification of entities pursuant to 26 U.”
Infiniti Info. Solutions, LLC v. United States, 93 Fed. Cl. 699 (Fed. Cl. 2010). “In addition, 28 U.S.C. § 1507 grants this court authority to issue declaratory judgments in certain types of tax cases.”
Taylor v. United States, 80 Fed. Cl. 376 (Fed. Cl. 2008). “1 On April 9, 2007, plaintiff filed his original complaint in this court seeking to enforce the EEOC decision, and alleging that this court has jurisdiction over his claims pursuant to 28 U.S.C. § 1507 (2000). On July 20, 2007, plaintiff filed an amended complaint, alleging that…”
Gentry v. United States, 212 Ct. Cl. 1 (Ct. Cl. 1976). “4, 1976, to appear as 28 U.S.C. § 1507 . That portion of plaintiff’s petition asking for a declaratory judgment is dismissed.”
Halim v. United States, 106 Fed. Cl. 677 (Fed. Cl. 2012). “This court has statutory authorization to award equitable relief in certain types of tax cases, see 28 U.S.C. § 1507 (2006); in disputes under the Contract Disputes Act of 1978 (CDA), 9 see 28 U.”
Annotations are extracted automatically from the opinions in the
Syfert caselaw corpus and ranked by authority, recency, and
treatment. Dots show Syfertize treatment of the citing case itself.