The primary question in this suit for refund of federal income taxes for the years 1946 through 1950 relates to appellant’s allegation that certain bank stock became worthless in 1945 and that he is therefore entitled to apply the five-year loss carry-over provision of Section 117(e) of the Internal Revenue Code of 1939, 26 U.S. § 117(e) [1952 ed.], which became effective December 31, 1941. But in a prior proceeding, commenced by this appellant’s Tax Court petition for redetermination of 1946 taxes, the Court of Appeals for the Fourth Circuit held that the bank stock became worthless before December 31, 1941. Cooper v. Com’r, 4 Cir., 1954,
With respect to other matters urged by appellant we find no error affecting substantial rights. The summary judgment below in favor of appellee is
Affirmed.
