Opinion · Court of Appeals for the Fifth Circuit

Albert G. Rich v. Commissioner of Internal Revenue

250 F.2d 170

Type
Opinion
Court
Court of Appeals for the Fifth Circuit
Jurisdiction
Federal
Date
1957-12-12
Topic
general

interpreting the ninety-day deadline to petition for redetermination of a deficiency in § 6213(a | interpreting the ninety-day deadline to petition for redetermination of a deficiency in § 6213(a | “[T]he plain and unambiguous meaning of the text of the section cannot be extended by its title or heading.”

Citator

Cited by
27 opinions