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Opinion by
Johnson, J. In accordance with stipulation of counsel and for the reasons stated in Austin, Nichols & Co., Inc. v. United States (22 Cust. Ct. 33, C. D. 1155), the claim of the plaintiff was sustained. The collector was directed to reliquidate the entry and refund such duty and internal revenue tax as were levied upon 581.3 proof gallons.
Document Info
Docket Number: No. 54798; protest 158613-K (Philadelphia)
Citation Numbers: 25 Cust. Ct. 302
Judges: Johnson
Filed Date: 10/30/1950
Precedential Status: Precedential
Modified Date: 9/9/2022