DUFFY, District Judge.
This is a suit for the recovery of income and excess profits taxes paid by the plaintiff for its fiscal years ending in 1940, 1941, and 1942. Plaintiff claims exemption from taxation under Sec. 101(7) of the Internal Revenue Code, Title 26 U.S.C.A. Int.Rev.Code, § 101(7), which provides: "The following organizations shall be exempt from taxation under this chapter — * * * (7) Business leagues, chambers of commerce, real-estate boards...
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