RICE, Jr., District Judge.
This case arises under the Internal Revenue Code, and, more particularly, under Sections 22(k) and 23(u) thereof, 26 U.S. C.A. §§ 22(k), 23(u). It involves income taxes, together with interest, paid by plaintiff for the calendar years 1943 and 1944, and claimed by plaintiff as refundable to him in claims for refund duly filed by him with defendant. The amounts claimed by plaintiff as refundable to him by defendant for the years...
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