ROBINSON, Chief Judge.
This is a suit for the recovery of corporate income taxes in the total amount of $28,645.41, paid by the plaintiff for the calendar years 1949, 1950, 1952 and 1953, together with statutory interest.
The basis of the claim for refund by the plaintiff is that certain interest payments made by plaintiff in each of the years in question were proper deductions from its taxable income as investment expense under Section 201 (c) (7) (B) of...
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