Ti Hang Lung v. United States
Ti Hang Lung v. United States
23 Cust. Ct. 183; 1949 Cust. Ct. LEXIS 947
Opinion of the Court
Opinion by
At the hearing it was stipulated that the merchandise is the same in all material respects as the Sum Yung involved in Wing Duck Co. v. United States (6 Cust. Ct. 133, C. D. 446). In accordance with this agreement plaintiff’s claim that the merchandise is not subject to an internal revenue tax was sustained.
Case-law data current through December 31, 2025. Source: CourtListener bulk data.