SWEENEY, District Judge.
This is an action at law to recover a deficiency assessment of income tax for the years 1929 and 1930. The point of law involved disposes of the claims for both years as they are filed under the same circumstances. The plaintiff contends that, since the petitioner had assigned all of her right, title, and interest in a trust fund hereinafter set forth in the agreed statement of facts, and that, not being entitled to income under that trust...
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