United States v. Snider, 502 F.2d 645 (1972) was a case before the United States Court of Appeals for the Fourth Circuit. It was a consolidation of two separate cases: the first was a conviction for violation of 26 U.S.C. §7205, which prohibits submitting fraudulent tax information to an employer. The second was a conviction for violation of 18 U.S.C. §401, which prohibits "misbehavior ... as to obstruct the administration of justice."
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| - United States v. Snider (en)
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| - United States v. Snider, 502 F.2d 645 (1972) was a case before the United States Court of Appeals for the Fourth Circuit. It was a consolidation of two separate cases: the first was a conviction for violation of 26 U.S.C. §7205, which prohibits submitting fraudulent tax information to an employer. The second was a conviction for violation of 18 U.S.C. §401, which prohibits "misbehavior ... as to obstruct the administration of justice." (en)
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| - Seal of the United States Court of Appeals for the Fourth Circuit.svg (en)
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| - United States of America, Appellee, v. Lyle B. Snider, and Sue T. Snider, Appellants. (en)
- United States of America, Appellee, v. Lyle B. Snider, Appellant. (en)
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Holding
| - Reporting 3 billion dependents on a tax form was so clearly inaccurate that it could not be considered an attempt to defraud the federal government. (en)
- Refusing to rise when a judge entered or exited the room was insufficient for a contempt citation. (en)
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judges
| - Winter, Craven and Widener (en)
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| - United States v. Snider (en)
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| - United States v. Snider, 502 F.2d 645 (1972) was a case before the United States Court of Appeals for the Fourth Circuit. It was a consolidation of two separate cases: the first was a conviction for violation of 26 U.S.C. §7205, which prohibits submitting fraudulent tax information to an employer. The second was a conviction for violation of 18 U.S.C. §401, which prohibits "misbehavior ... as to obstruct the administration of justice." On appeal, the Fourth Circuit held that the tax form was so clearly incorrect that it could not be considered an actual attempt to defraud the federal government. Thus the specific intent to violate this law was absent, and so no conviction would stand. As to the contempt charges, the court found that the appellants' actions did not obstruct the administration of justice, and so they had not violated that statue either. The court specifically declined to address the appellants' First Amendment arguments. (en)
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