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No. 8901540
United States Court of Appeals for the Ninth Circuit
Heisler v. United States
No. 8901540 · Decided June 21, 1972
No. 8901540·Ninth Circuit · 1972·
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Case Details
Court
United States Court of Appeals for the Ninth Circuit
Decided
June 21, 1972
Citation
No. 8901540
Disposition
See opinion text.
Full Opinion
PER CURIAM: In this tax case the district court had jurisdiction over the refund claim under 28 U.S.C. § 1346 (a) (1). The appellants, however, do not fit within the statute. Their bodies and skills are not among the “other natural deposits” for which the Internal Revenue Code allows a deduction for percentage depletion. On the claim that 26 U.S.C. sections 611 et seq. are unconstitutional, the Heislers lack the requisite standing to raise this issue. Flast v. Cohen, 392 U.S. 83 , 88 S.Ct. 1942 , 20 L.Ed.2d 947 (1968). The appellants style their lawsuit a class action. However, there is no showing that any other members of the purported class filed the requisite demands for refund. 26 U.S.C. § 7422 . The judgment is affirmed.
Plain English Summary
PER CURIAM: In this tax case the district court had jurisdiction over the refund claim under 28 U.S.C.
Key Points
01PER CURIAM: In this tax case the district court had jurisdiction over the refund claim under 28 U.S.C.
02Their bodies and skills are not among the “other natural deposits” for which the Internal Revenue Code allows a deduction for percentage depletion.
03are unconstitutional, the Heislers lack the requisite standing to raise this issue.
04However, there is no showing that any other members of the purported class filed the requisite demands for refund.
Frequently Asked Questions
PER CURIAM: In this tax case the district court had jurisdiction over the refund claim under 28 U.S.C.
FlawCheck shows no negative treatment for Heisler v. United States in the current circuit citation data.
This case was decided on June 21, 1972.
Use the citation No. 8901540 and verify it against the official reporter before filing.