OPINION
WEBER, District Judge.
These are two consolidated actions brought by the corporate plaintiff and its two principal shareholders to recover income taxes paid, after denial of claim for refund under the provisions of 28 U.S.C. § 1346(a) (1). The matter was heard by the Court without a jury.
From the evidence produced the Court finds that the two individual plaintiffs, husband and wife, operated the business of Num Specialty Company as...
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