ALDRICH, Circuit Judge.
The facts in this appeal from the appointment of receivers under 26 U.S.C.A. § 7403 may be briefly stated. The principal taxpayer, Bernard Goldfine, has many financial interests. Of present importance are George Mabbett & Sons Co. and Strathmore Woolen Co., corporations of which he allegedly owns all the stock, the Little Building, a substantial office building, variously mortgaged, of which he owns the equity, and a 60 per cent
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