GRAVEN, District Judge.
This is an action by the plaintiff taxpayer under Section 1346(a) (1) of 28 U.S.C.A. to recover income and excess profits taxes alleged to have been wrongfully collected under the internal revenue laws of the United States. The complaint, filed herein on June 23, 1952, set forth four causes of action. In the First cause of action recovery was sought for the sum of $3,861.78 from income taxes paid. In the Second cause of action recovery was...
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