Opinion · Supreme Court of the United States

Graham & Foster v. Goodcell

Graham & Foster v. Goodcell, 51 S. Ct. 186 (1931)

Type
Opinion
Court
Supreme Court of the United States
Jurisdiction
Federal
Date
1931-01-26
Topic
general

holding that a statutory provision "was manifestly intended to operate retroactively according to its terms" where the tax statute spelled out meticulously the circumstances that defined the claims to which it applied and where the alternative interpretation was absurd | holding that a statutory provision “was manifestly intended to operate retroactively according to its terms” where the tax statute spelled out meticulously the circumstances that defined the claims to which it applied and where the alternative interpretation was absurd | Court found constitutional retroactive statute designed to preclude necessity of refunding taxes that over three years earlier had been collected after limitations period had expired | “[Defects in the administration of the law may be cured by subsequent legislation without encroaching upon constitutional right....” | “[D]efects in the administration of the law may be cured by subse- quent legislation without encroaching upon constitutional right . . . .” | clear statement rule satisfied where new tax refund statute “expressly applied to internal revenue taxes” assessed before pre-enactment date certain | clear statement rule satisfied where new tax refund statute “expressly applied to internal revenue taxes” assessed before pre-enactment date certain | Curative statute designed to remedy mistakes and defects in the administration of government | “the broad discretion of the Congress in the exercise of (continued...) - 27 - We therefore have no jurisdiction to hear her claim, and21 An order of dismissal for lack of jurisdiction will be entered. 20 (...continued | cause of action for an amount due | cause of action for an amount due

Citator

Authority status
pending
Cited by
212 opinions