Cases
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20 opinions for “Gilliland v. Internal Revenue Service”
Solone v. Internal Revenue Servicepublic domain
830 F.Supp. 1141 (1993) Ralph J. SOLONE and Virginia Solone, Plaintiffs, v. INTERNAL REVENUE SERVICE, Defendant. No. 93 C 651. United States District Court, N.D. Illinois, E.D. September 13, 1993. *1142 Judith Irwin Gilliland, Robert E. McKenzie, Cary Richard Rosenthal, Ralph P. Bassett, McKenzie & McKenzie, P.C., Chicago, IL
Salcido Ex Rel. Gilliland v. Woodbury County, Iowapublic domain
119 F.Supp.2d 900 (2000) Maximo SALCIDO, by his next friend, Amelia GILLILAND, Plaintiff, v. WOODBURY COUNTY, IOWA; Jessie Rasmussen, in her official capacity as Director of the Iowa Department of Human Services; and Thomas L. Vilsack, in his official capacity as Governor of the State of Iowa, Defendants. No. C 98-4113-MWB. United States District Court, N.D. Iowa, Western Division.
In Re Gillilandpublic domain
67 B.R. 410 (1986) In re John D. GILLILAND and Carol A. Gilliland, Debtors. Bankruptcy No. 383-00610 M-13. United States Bankruptcy Court, N.D. Texas, Dallas Division. November 25, 1986. Elizabeth A. Bates, Dallas, Tex., for debtors. Grover Hartt, II, Tax Div., Dept. of Justice, Dallas, Tex., for U.S. MEMORANDUM OPINION REGARDING POST-PETITION INTERES
Gilliland v. Brookspublic domain
MEMORANDUM OPINION AND ORDER NEESE, Senior District Judge, Sitting by Designation and Assignment. The plaintiffs-taxpayers seek relief in the form of mandamus pursuant to 28 U.S.C. § 1361. They request that an order issue compelling the defendant Mr. Vallie C. Brooks, Esq., attorney with the Nashville district counsel’s office of the office of chief counsel, United States Department of Treasur
Estate of Gillilandpublic domain
73 Cal.App.3d 515 (1977) 140 Cal. Rptr. 795 Estate of ELSINORE MACHRIS GILLILAND, Deceased. UNION BANK, as Co-trustee, etc., et al., Petitioners and Respondents, v. AMERICAN HEART ASSOCIATION et al., Objectors and Appellants. Docket No. 47692. Court of Appeals of California, Second District, Division Two. September 21, 1977.
CLARK, Circuit Judge: These two cases, which were consolidated for oral argument purposes, present questions about the federal tax lien and the notice provisions of 26 U.S.C. § 7425(b). In both cases the district court granted summary judgment in favor of the appellees Southern Bank of Lauderdale County (Southern Bank) and Mid-State Homes, Inc. (Mid-State). For the reasons dis
OPINION RILEY, Judge. STATEMENT OF THE CASE Appellant-Plaintiff, Harold O. Fulp, Jr. (Harold), appeals the trial court’s denial of his request for specific performance of a purchase agreement which he entered into with Ruth E. Fulp (Ruth) and which was rescinded by Appellee-Defendant, Nancy A. Gilliland (Gilliland),
Gilliland v. American Heart Ass'npublic domain
Opinion FLEMING, J, For the fourth time an appellate court is called upon to resolve a dispute concerning the Gilliland Testamentary Trust (the Trust),1 established under the will of Elsinore Machris Gilliland, who died 12 Januaiy 1967. The Trust, funded on 31 October 1967 with assets appraised at $16,500,000, generates gross annual income in excess of $900,000. The will directs th
Montesi v. Commissioner of Internal Revenuepublic domain
EDWARDS, Circuit Judge. In these five income tax appeals the petitioners are Fred Montesi and his four sons and their respective wives. Each appeal concerns the treatment of $10,000 per year paid to each of the husbands for three years after the sale by them (through various companies and partnerships) of a large super market operation in Memphis, Tennessee, and the vicinity. The sale occurred on October 11,
340 F.2d 97 65-1 USTC P 9173 Fred MONTESI and Carmela Montesi, Petitioners,v.COMMISSIONER OF INTERNAL REVENUE, Respondent.John MONTESI and Yolanda Montesi, Petitioners,v.COMMISSIONER OF INTERNAL REVENUE, Respondent.Frank MONTESI and Letitia D. Montesi, Petitioners,v.COMMISSIONER OF INTERNAL REVENUE, Respondent.Joe MONTESI and Gloria Montesi, Petitioners,v.COMMISSIONER OF INTE
Gilliland v. PORT AUTH. OF CITY OF ST. PAULpublic domain
270 N.W.2d 743 (1978) Mary J. GILLILAND, et al., Appellants, Vi Palo, Plaintiff, v. PORT AUTHORITY OF the CITY OF ST. PAUL, Respondent, Clayton G. Rein, individually, and as Agent for C. G. Rein Company, etc., et al., Respondents. No. 48560. Supreme Court of Minnesota. June 16, 1978. *744 Martha Eaves and George Rehm, Legal A
Lamb v. Smith, Collector of Internal Revenuepublic domain
KALODNER, Circuit Judge. This appeal is from the entry of a judgment by the District Court on a jury verdict in favor of a taxpayer who sued to recover taxes paid as the result of an allegedly erroneous determination by the Commissioner of Internal Revenue that 90 per cent of the income of a limited partnership (made up of a family group) was to be attributed to the taxpayer. <
Hammonds v. Commissioner of Internal Revenuepublic domain
106 F.2d 420 (1939) HAMMONDS v. COMMISSIONER OF INTERNAL REVENUE. No. 1832. Circuit Court of Appeals, Tenth Circuit. August 30, 1939. *421 Fred P. Branson, of Muskogee, Okl. (W. K. Garnett and Chas. H. Garnett, both of Oklahoma City, Okl., on the briefs), for petitioner. Warren F. Wattles, Sp. Asst. to Atty. Gen. (James W.
266 F.2d 154 ESTATE of Levi T. SCOFIELD, Douglas F. Schofield, Trustee,Mary Jane Scofield Demmon (nee Mary Jane Scofield), Roy C.Demmon and Mary Scofield Demmon, Josephine ScholfieldThompson, Edward W. Thompson and Josephine S. Thompson,Douglas F. Schofield Trust, Douglas F. Schofield, Trustee,Douglas F. Schofield and Mary D. Schofile, field, SchofieldBuilding Land Trust, Douglas F. Schofield, Trustee, Petitioners,v.
Alpine Bank v. Moreno (In Re Moreno)public domain
293 B.R. 777 (2003) In re Louise Cary MORENO, Debtor. In re Hotel Frisco, L.L.C., Debtor. Alpine Bank, Plaintiff, v. Louise Cary Moreno; Hotel Frisco; Janice A. Steinle as Chapter 7 Trustee; Lawrence Gilliland as the Summit County Public Trustee; First Commercial Bank, N.A. d/b/a First Commercial Capital; the United States Internal Revenue Service; and the Town of Frisco, Defendants. Bankruptcy Nos. 01-10587-ABC, 01-
MARCIA MORALES HOWARD, United States District Judge This action is brought by the United States Commodity Futures Trading Commission (CFTC), pursuant to its authority under section 6 of the Commodity Exchange Act (CEA), 7 U.S.C. § 13a-1 (2012), against Defendants Allied Markets LLC (Allied), Joshua Gilliland (Gilliland), and Chawalit Wongkhiao (Wongkhiao). CFTC alleges that the Defendants violated the CEA,
Stadel Art Museum v. Mulvihillpublic domain
Filed 10/12/23 CERTIFIED FOR PUBLICATION IN THE COURT OF APPEAL OF THE STATE OF CALIFORNIA FIRST APPELLATE DISTRICT DIVISION THREE STÄDEL ART MUSEUM, Plaintiff and Appellant, A165397 v. THOMAS MULVIHILL, (Alameda County Super. Ct. No. RP-21-094211) Defenda
Lucky Chances, Inc. v. Cal. Gambling Control Com.public domain
Filed 10/28/24 (see dissenting opinion) CERTIFIED FOR PUBLICATION IN THE COURT OF APPEAL OF THE STATE OF CALIFORNIA THIRD APPELLATE DISTRICT (Sacramento) ---- LUCKY CHANCES, INC. et al., C087061 Plaintiffs and Appellants, (Super. Ct. No
Kelley v. Daileypublic domain
BOLIN, Justice. The City of Valley Grande (“the City”) and its mayor, David Labbe, who was sued in his official capacity (hereinafter collectively referred to as “the petitioners”), petition this Court for a writ of mandamus directing the Dallas Circuit Court to vacate its order denying the petitioners’ motion for a summary judgment and to enter a summary judgment for the petitioners on the claims asserted against them by Marc
Short v. Wesley Medical Center, L.L.C.public domain
649 F.Supp.2d 1320 (2009) Steve SHORT; Luke Short; Richard Short; Denese Short Mahoney; and Jessie Short, Plaintiffs, v. WESLEY MEDICAL CENTER, L.L.C., Defendant. Case No. CIV-08-984-M. United States District Court, W.D. Oklahoma. August 12, 2009. *1322 Darren M. Tawwater, Larry A. Tawwater, Tawwater Law Firm PLLC, Oklahoma City,