U.S. Tax Cases, Volum 92,Utgave 1Commerce Clearing House, 1992 1935-42 decisions originally reported currently in the Standard federal tax service, and 1941-42 also in the Federal estate and gift tax service, and 19 - in the Federal excise tax reports. |
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Side 83-584
... Rule 60 ( b ) ( 1 ) is not warranted . Davis is distinguishable . There , the Second Circuit stated that " it has never hesitated to reverse the denial of a motion to vacate a default judgment where further factfinding was necessary to ...
... Rule 60 ( b ) ( 1 ) is not warranted . Davis is distinguishable . There , the Second Circuit stated that " it has never hesitated to reverse the denial of a motion to vacate a default judgment where further factfinding was necessary to ...
Side 83-693
... Rule 60 ( b ) ' s six grounds for relief from judgment.4 Plaintiffs ' motion did not recite any of the exceptional circumstances warranting relief under Rule 60 ( b ) , nor does our reading of the record disclose any . In essence ...
... Rule 60 ( b ) ' s six grounds for relief from judgment.4 Plaintiffs ' motion did not recite any of the exceptional circumstances warranting relief under Rule 60 ( b ) , nor does our reading of the record disclose any . In essence ...
Side 84-134
... Rule 37 ( d ) is allowed only when a party's failure to comply with proper discovery is willful , in bad faith , or with gross negligence . National Hockey League v . Metropolitan Hockey Club , Inc. , 427 U.S. 639 , 643 ( 1976 ) . Defen ...
... Rule 37 ( d ) is allowed only when a party's failure to comply with proper discovery is willful , in bad faith , or with gross negligence . National Hockey League v . Metropolitan Hockey Club , Inc. , 427 U.S. 639 , 643 ( 1976 ) . Defen ...
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Boyd Joyce W DCDC | 83-5 |
Publix Supermarkets Inc ClsCt | 83-6 |
Karmazin Jay J DCLa | 83-7 |
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