REEVES, District Judge.
By this proceeding plaintiff seeks a refund of taxes paid by it on its income for the years 1921, 1922, and 1923.
It claims that it was entitled to certain deductions because of the depreciation and obsolescence of its capital assets during said periods. The plaintiff is in the abstract and title business, and in the year 1915 acquired several independent competitive plants engaged in the same business.
It is asserted by the...
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