JONES, Chief Judge.
The question presented in this case is whether plaintiff's telephonic communication system for internal communication by plaintiff's employees in dispatching cabs to customers was a leased wire system exempt under 26 U.S.C. 3465(b) (1939 ed.) from the tax imposed by 26 U.S.C. 3465(a) (3) on local telephone service for the period from July, 1946 through May, 1950.
Plaintiff contends that although the service was charged as local service...
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