PER CURIAM.
Plaintiff is a New Jersey corporation which during the taxable years here involved carried on business in New York and Virginia and paid an income tax to those States on account of income earned therein. Pursuant to the Revenue Act of 1928 it filed Federal income tax returns for 1929, 1930, and 1931, and claimed and was allowed deductions from gross income for the income taxes paid in those years to New York and Virginia. Thereafter it filed claims for...
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