PER CURIAM.
It appearing that the judgment appealed from was one of dismissal of a suit against the Collector for an overpayment of tax assessed by the Commissioner of Internal Revenue, which overpayment was the result of a deficiency in the appellant's income tax return for 1934 by reason of the failure of the appellant to return a profit upon the sale of real estate during that year, and the disallowance by the Commissioner of a deduction for additional salaries...
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