WILL, District Judge.
Plaintiff, administrator of the estate of Walter T. Graf, brings this action to recover $3,542.66, allegedly erroneously assessed by defendant District Director of Internal Revenue in auditing the 1962 income tax return of the decedent's estate. Included in the return was the report of the redemption of 370 shares of capital stock of Graf Fur Company, Inc. Plaintiff treated the entire net profit from the redemption as a capital gain pursuant...
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