PER CURIAM:
A deficiency assessment was made by the Internal Revenue Service against Sutson, Inc. for its taxable year ending September 30, 1958. Taxpayer, being the transferee of the assets of Sutson, Inc., a corporation wholly owned by him, was notified that he was liable for the deficiency assessment; he paid the same together with interest under protest; and, after his claim for a refund had been denied by the Service, he commenced this action pursuant to 28 U...
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