AUGUSTUS N. HAND, Circuit Judge.
The question raised by this appeal is whether under section 3466 of the U. S. Revised Statutes (31 USCA § 191) claims of the United States for unpaid income taxes and for damages are entitled to priority over claims of the state of New York for franchise taxes and taxes for gross earnings. The United States and the state of New York each presented its claims to receivers who had been appointed upon the filing of a creditors' bill...
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