VAN DUSEN, District Judge.
This is a suit for refund of plaintiff's 1947 federal corporation income tax involving (a) the amount of plaintiff's net operating loss for the year 1946 available for carry-over to 1947, (b) defendant's contention that a refund of 1944 federal excess profits tax, as a result of the 1946 loss, which refund was received in 1947, should be included in taxable income in either 1946 or 1947, and (c) defendant's contention that the statute of...
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