WHALEY, Judge.
Various contentions are advanced by plaintiff as a basis of recovery of the income tax involved in this case and likewise defenses thereto are predicated on sundry grounds, but we think the case comes squarely within the provisions of section 611 of the Revenue Act of 1928 (45 Stat. 875), and, therefore, a discussion of all points presented becomes unnecessary.
During November, 1922, the Commissioner made a timely assessment of an additional...
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