MEMORANDUM
RICHARD E. ROBINSON, Chief Judge.
This matter was tried to the Court without a jury, jurisdiction being based upon Title 28 U.S.C.A. § 1346 [a] [1]. It is basically a suit for a tax refund centering upon the issue of whether or not plaintiff's declaration of certain stock as worthless in 1956, thereby entitling him to a deductible tax loss, was allowable under the taxing laws. The Court is now ready to render a decision, announcing its findings...
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