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Protest 34267-K of Pacific Customs Brokerage Co.
7 Cust. Ct. 298
Cust. Ct.
1941
Check Treatment

Opinion by

Walker, J.

The proprietor of the actual importing concern testified that the sizes, type, quality, and use of the material here involved were the-same as that the subject of Pacific Customs Brokerage Co. v. United States (5 Cust. Ct. 146, C. D. 387), and that it can be used for various purposes, such as slats, seats, rungs, etc., of chairs. From the testimony it was apparent that the merchandise consists of birch lumber in small sizes for use in the manufacture of chairs but not, in the condition as imported, dedicated to any particular use. On the record presented the merchandise was held entitled to free entry under paragraph 1803 but held subject to tax under the provisions of section 601 (c) (6), Revenue Act of 1932, as amended, as claimed.

Case Details

Case Name: Protest 34267-K of Pacific Customs Brokerage Co.
Court Name: United States Customs Court
Date Published: Oct 17, 1941
Citation: 7 Cust. Ct. 298
Docket Number: No. 46470
Court Abbreviation: Cust. Ct.
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