HUTCHESON, Chief Judge. The suit, based on timely filed claims for refund, was brought to recover income taxes overpaid for the years 1948 and 1949, in the respective amounts of $14,293.62 and $775.72. The claim was that the taxpayer had suffered losses from theft deductible under Sec. 23(e) (3) 1 in excess of $62,500 in 1948 and of $1550 in 1949, at the hands of one Goldberg w…
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