LITTLETON, Judge.
The question presented is whether retail sales by plaintiff subsequent to June 20, 1932, of articles of jewelry acquired by it on that date from a predecessor corporation should, for tax purposes, be regarded as sales by the manufacturer and taxable under the provisions of sections 605 and 609 of Title IV of the Revenue Acts of 1932 and 1934, respectively, 26 U.S.C.A. Int.Rev.Acts, pages 609, 786. If it should be held that plaintiff is entitled to...
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