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United States Vs. Swift and Co.

Decided On : Feb-02-1931

Court : US Supreme Court

LAW: the Revenue Act, the Revenue Act, the Sixteenth Amendment, Section 252, the Revenue Act, the Revenue Act, the Revenue Act

GPE: United States, United States, United States, U.S., the United States, Washington, Washington, the United States, United States

ORG: Swift & Co., U.S. 468 (, U.S. Supreme Court, Swift & Co., U.S. 468 (, the Bureau of Internal Revenue, Court, Court, The Court of Claims, Court, the Court of Claims, the Commissioner of Internal Revenue, Taxpayer, the Commissioner of Internal Revenue, Treasury, Collector, Girard Trust Co., Court, the Treasury Department, the Girard Trust Company, the Court of Claims is Affirmed

CARDINAL: 282, 282, 56, 282, 1, 284(b)(1, 2, 1, 2, 3, 68, 97, 281, 709, 42, 268, 3228, 284(b)(1, 44, 66, one, two, 12, three, One, three

DATE: 1931, 1931, January 9, 1931, February 2, 1931, 1921, 1926, 1917, another taxable year, four years, the taxable year 1917, 1917, February 28, 1923, 252 U. S. 189 , September 3, 1927, years, 1921, 1917, five years, five years, four years, four years, February 9, 1923, September 6, 1923, more than four years, the taxable year, the year, 1923, four years, September 6, 1923, four years, the last two

PRODUCT: Certiorari

PERSON: JUSTICE ROBERTS, Schedule 7777A

ORDINAL: second, first, second, first, second, first, second, second, first, first, first, first, first, first, second, second

WORK_OF_ART: The Commissioner of Internal Revenue

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