PER CURIAM.
In an action brought under 28 U.S.C. § 1346(a) (1) to recover certain income taxes assessed against, and paid by, the plaintiffs for the year 1953, counsel for the taxpayers and the Government early entered into a stipulation. The taxpayers had made certain advances to a corporation, Renee Thornton, Inc., whose stock became worthless in 1952. The advances so made became unrecoverable in that year, and the stipulation set forth that "the only issue...
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