LITTLETON, Judge.
Plaintiff sues to recover $1,082.63, plus interest, claiming that such amount represents interest illegally collected and retained on an apparent, but not real excess profits tax deficiency of $3,083.11 for 1941, which deficiency was refunded with $1,271.81 additional principal after application of section 722 of the Internal Revenue Code. 54 Stat. 986, as amended, 26 U.S.C. § 722, Supp. IV 1940 Ed., repealed by Act of Nov. 8, 1945, 59 Stat...
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