DOYLE, District Judge.
This cause having been tried to the Court on May 28, 1962, and the Court having considered all of the evidence in the case and having heard the statements of counsel and now being advised in the premises, finds and concludes:
The action was filed pursuant to Title 28 U.S.C. § 1346 and seeks recovery of $371.20, which sum was assessed by the Director of Internal Revenue as a deficiency in connection with the tax return of plaintiff...
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