MORTON, District Judge.
This is an action to recover interest on a credit allowed by the government against certain additional income taxes assessed against the plaintiff. The case turns on when the credit was allowed. The government says on March 29, 1924; the plaintiff, on either July 14, 1924, or August 7, 1924. Between the first and the second of these dates the Revenue Act of 1924 (43 Stat. 253) had gone into force, on
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