MEMORANDUM
ROBERT L. TAYLOR, Chief Judge.
This is a suit for refund of federal income taxes in the amount of $246,241.36, with statutory interest for the calendar years 1953 through 1959 and a portion of the year 1960.
Jurisdiction is derived from 28 U.S.C. § 1346(a) (1).
Plaintiff is the corporate successor of Gray Knox Marble Company, a Delaware corporation, (hereafter referred to as taxpayer) which was...
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