GARDNER, Circuit Judge.
Appellee, a Missouri corporation engaged in the business of mining, processing and selling chemical and metallurgical grade limestone, on December 15, 1955 filed with appellant, District Director of Internal Revenue, claims for refund of certain income taxes paid to appellant for the taxable years 1950, 1951, 1952, and 1953. The claimed refunds were based on the taxpayer's contentions that (1) its mineral deposit was a chemical and metallurgical...
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