BLUE BELL v. UNITED STATES

No. 48833.

93 F.Supp. 614 (1950)

BLUE BELL, Inc. v. UNITED STATES.

United States Court of Claims.

Decided November 7, 1950.


Attorney(s) appearing for the Case

Richard B. Barker, Washington, D. C., for plaintiff.

J. W. Hussey, Washington, D. C., with whom was Asst. Atty. Gen. Theron Lamar Caudle, for defendant.

Andrew D. Sharpe, Washington, D. C., was on the brief.

Before JONES, Chief Judge, and LITTLETON, WHITAKER, MADDEN and HOWELL, Judges.


WHITAKER, Judge.

Plaintiff sues for a refund of income taxes. When its return for the fiscal year ending November 30, 1942, was examined, the Revenue Agent disallowed as a deduction $25,002.86 of the bonuses plaintiff paid its officers for that fiscal year, on the ground that the amounts paid were excessive in this amount. Plaintiff duly filed a claim for refund, which was disallowed, and it then brought this suit.

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