WILLIAMS, Judge.
The entire capital stock of the plaintiff corporation during the fiscal period involved was owned by the partnership of Campbell, Metzger & Jacobson. The plaintiff and the partnership each filed an income tax return for the fiscal year ending November 30, 1917, and paid the amount of taxes shown thereon. By proper waiver the statutory period for the assessment and collection of the partnership tax for the year 1917 was extended to April 1, 1924...
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