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· 1/3/1992

Sheldon B. Bufferd Phyllis Bufferd v. Commissioner of Internal Revenue

Citations

  • 952 F.2d 675
  • 69 A.F.T.R.2d (RIA) 465
  • 1992 U.S. App. LEXIS 82

How courts have described this case

Verbatim parenthetical descriptions written by other courts when citing this decision. Ranked by citation-network relevance.

  • “[T]he relevant return for determining the statute of limitations is the return of the taxpayer against whom the tax is sought.”
  • \[T]he relevant return for determining the statute of limitations is the return of the taxpayer against whom the tax is sought.\
  • \[T]he relevant return for determining the statute of limitations is the return of the taxpayer against whom the tax is sought.\
  • \[T]he relevant return for determining the statute of limitations is the return of the taxpayer against whom the tax is sought.\
  • \[T]he relevant return for determining the statute of limitations is the return of the taxpayer against whom the tax is sought.\
  • \[T]he relevant return for determining the statute of limitations is the return of the taxpayer against whom the tax is sought.\

Source: CourtListener parenthetical corpus (CC0).

Judges: Meskill, Winter, Altimari

Read full opinion on CourtListener

Sourced from CourtListener / Free Law Project (CC0).

This is legal information, not legal advice. Laws vary by jurisdiction and change frequently. Always verify current law with official sources and consult a licensed attorney in your jurisdiction for advice on your specific situation.