Opinion · United States Tax Court

Stein v. Commissioner

37 T.C. 945

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1962-02-21
Topic
general

ruling that section 1341 provides “a remedy superior to and inclusive of equitable recoupment” | ruling that section 1341 provides “a remedy superior to and inclusive of equitable recoupment” | ruling that section 1341 provides “a remedy superior to and inclusive of equitable recoupment” | ruling that section 1341 provides “a remedy superior to and inclusive of equitable recoupment” | stating that relief is available “in the year of repayment” | stating that relief is available “in the year of repayment” | stating that relief is available “in the year of repayment” | stating that relief is available “in the year of repayment” | "The legislative history, although not of sufficient clarity for judicial reliance, tends to support the running of interest on transferee liability from the date of transfer, although in 1926 the issue resolved in [Stem] was not considered.” | “[E]quitable recoupment is unavailable in cases to which section 1341 applies.” | “[E]quitable recoupment is unavailable in cases to which section 1341 applies.” | “[E]quitable recoupment is unavailable in cases to which section 1341 applies.” | “[E]quitable recoupment is unavailable in cases to which section 1341 applies.” | further explaining rationale for distinction

Citator

Cited by
42 opinions