Goldring v. USA
Case Number:
20-30723
Court:
Nature of Suit:
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March 03, 2022
5th Circ. Denies Revisit Of Couple's Tax Interest Win
The Fifth Circuit won't revisit a ruling that a couple is owed a refund of more than $603,000 in underpayment interest, the court said.
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December 09, 2021
Couple Asks 5th Circ. To Deny Redo Of Tax Interest Win
The Fifth Circuit shouldn't revisit a ruling that a couple is owed a refund of more than $603,000 in underpayment interest, they told the court, saying the decision is legally consistent and doesn't warrant the extraordinary measure of a rehearing.
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November 19, 2021
US Wants 5th Circ. Redo Over Couple's Tax Interest Win
The U.S. asked the Fifth Circuit to partially reconsider its decision that a couple is owed a $603,000 refund for tax underpayment interest they paid in connection with a stock award, saying the court's findings aren't backed by tax law.
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October 04, 2021
Couple's $26M Stock Award Not Capital Gain, 5th Circ. Says
Roughly $26.3 million in interest that a Louisiana couple earned in connection with a successful shareholder dispute is subject to ordinary income tax rates rather than the more advantageous long-term capital gains rates, the Fifth Circuit said Monday.
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April 06, 2021
$26M Interest Award Taxable As Ordinary Income, 5th Circ. Told
A Louisiana couple's $26.3 million interest award in a stock dispute with a wine and spirits company doesn't qualify for capital gains tax treatment because the award wasn't based on a transaction, the U.S. told the Fifth Circuit.
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February 04, 2021
5th Circ. Told $26.3M Interest Award Taxable As Capital Gains
Long-term capital gains tax rates should be applied to a $26.3 million interest payment a Louisiana couple received in a settlement award from a stock dispute with a wine and spirits company, the couple told the Fifth Circuit.