No. 45903 | Cust. Ct. | May 22, 1941

Opinion by

Keefe, J.

It was stipulated that the commodity in question is composed in chief value of ginger and not in chief value of manufactured sugar. It was therefore held not subject to the tax under the Internal Revenue Code of 1939, section 3500 (3), T. D. 49814.

© 2024 Midpage AI does not provide legal advice. By using midpage, you consent to our Terms and Conditions.