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James Logan Clark v. CIR, 98-3982 (1999)

Court: Court of Appeals for the Eighth Circuit Number: 98-3982 Visitors: 36
Filed: May 13, 1999
Latest Update: Mar. 02, 2020
Summary: United States Court of Appeals FOR THE EIGHTH CIRCUIT _ No. 98-3982 _ James Logan Clark, * * Appellant, * * Appeal from the United States v. * Tax Court. * Commissioner of Internal Revenue, * [UNPUBLISHED] * Appellee. * _ Submitted: April 29, 1999 Filed: May 13, 1999 _ Before McMILLIAN, LOKEN, and MURPHY, Circuit Judges. _ PER CURIAM. Jame s Logan Clark appeals from the tax court’s1 deficiency determination upholdin g a deficiency determination by the Commissioner of Internal Revenue, challengin
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                      United States Court of Appeals
                            FOR THE EIGHTH CIRCUIT
                                    ___________

                                    No. 98-3982
                                    ___________

James Logan Clark,                    *
                                      *
          Appellant,                  *
                                      * Appeal from the United States
    v.                                * Tax Court.
                                      *
Commissioner of Internal Revenue,     *   [UNPUBLISHED]
                                      *
          Appellee.                   *
                                 ___________

                           Submitted: April 29, 1999
                               Filed: May 13, 1999
                                   ___________

Before McMILLIAN, LOKEN, and MURPHY, Circuit Judges.
                            ___________

PER CURIAM.

       Jame s Logan Clark appeals from the tax court’s1 deficiency determination
upholdin g a deficiency determination by the Commissioner of Internal Revenue,
challengin g the constitutionality of 26 U.S.C. §§ 86, 6013 (1995). Having carefully
reviewe d the record and the parties’ submissions, we agree with the tax court that
neithe r section is unconstitutional . See Rega n v. Taxation With Representation of
Washington, 
461 U.S. 540
, 547 (1983); Dandridg ev. Williams, 
397 U.S. 471
, 485
(1970).


      1
          The Honorable Daniel J. Dinan, United States Tax Court Judge.
Accordingly, we affirm the judgment. See 8th Cir. R. 47B.

A true copy.

      Attest:

                 CLERK, U.S. COURT OF APPEALS, EIGHTH CIRCUIT.




                                 -2-

Source:  CourtListener

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