PER CURIAM.
On November 4, 1953, plaintiffs filed a claim for a refund in the sum of $300 which they allege was paid in excess of what was legally due on their income taxes for the calendar year 1949.
Attached to the petition are copies of two letters from an official of the Bureau of Internal Revenue, one of which, dated March 25, 1954, states that the refund is denied because the claim was not filed within the statutory period. The second, dated April 19...
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