MEMORANDUM
STEPHENSON, Chief Judge.
1. This is an action for the refund of federal income taxes, in the amount of $32,743.73 for 1957 and $37,043.69 for 1959, which plaintiff alleges were excessively collected for each of those years.
2. The Commissioner of Internal Revenue disallowed deductions from income claimed by plaintiff for contributions to an Automation Fund for 1959 through 1961 and for interest on that fund in 1961 and 1962. The year 1957...
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