GOODMAN, District Judge.
The sole issue in this action for the refund of income taxes is whether plaintiff suffered a deductible loss in 1943 when it abandoned its San Francisco laundry routes after the Government, in condemnation proceedings, took possession of its laundry plant. In claims for refund filed with the Collector of Internal Revenue at San Francisco on February 20, 1946, plaintiff asserted this loss as the basis for refund of the $1,599.05 in income...
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