Writ of Certiorari Denied May 13, 1946. See 66 S.Ct. 1022.
FRANK, Circuit Judge.
We assume, merely arguendo, the strongest case for taxpayer, i.e., that the judgment below would have been correct had the taxpayer's participation in the indemnity agreements been necessary, or even seemingly necessary, to prevent substantial losses to the corporations other than the bank in which "he and his family were vitally interested and from which he was receiving substantial...
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