MELLOTT, Chief Judge.
The bankrupt has petitioned the court to review two orders of the Referee: (1) Holding that the United States should be allowed interest on its tax claims to the date of payment; and (2) that the United States is entitled to collect from the bankrupt insurance contribution tax imposed by Section 1400, Title 26 U.S.C.A. and withholding taxes imposed by Section 1622 of the same title on the Victor Manufacturing Corporation, of which bankrupt was...
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