Opinion · Supreme Court of the United States

Kavanagh v. Noble

68 S. Ct. 235

Type
Opinion
Court
Supreme Court of the United States
Jurisdiction
Federal
Date
1948-02-02
Topic
general

two year statute applicable to income tax refund claims under § 322(b)(1) rather than four year period under § 3313 applied so taxpayer suffered loss | courts are to apply strictly the limitation periods contained in the Internal Revenue Code | “[Limitations] periods are established to cut off rights, justifiable or not, that might otherwise be asserted and they must be strictly adhered to by the judiciary. Remedies for resulting inequities are to be provided by [the legislature], not the courts.” | "[Limitations] periods are established to cut off rights, justifiable or not, that might otherwise be asserted and they must be strictly adhered to by the judiciary. Remedies for resulting inequities are to be provided by [the legislature], not the courts."

Citator

Cited by
44 opinions