JONES, Chief Judge.
This is an action by a taxpayer to recover from the Government Federal insurance contribution taxes paid under section 1400 et seq., of the Internal Revenue Code of 1939 (26 U.S.C. § 1400 et seq.) for the period January 1, 1949, through December 31, 1952. The issue presented is whether certain mechanics called "applicators" and their helpers, performing services for the plaintiff, were or were not employees within the meaning of section 1426...
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