Memorandum Findings of Fact and Opinion
This proceeding arises on a claim for refund of $241,791.81 paid by the petitioner from June 8, 1934 to October 31, 1935, inclusive, as a tax on the processing of sugar cane under the unconstitutional Agricultural Adjustment Act. The only question is whether the petitioner is entitled to any refund of the tax, and if so, in what amount? This is to be determined under the statutory conditions set out in section 902, Revenue...
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