The Commissioner determined a deficiency in the income and excess profits taxes of petitioner Hooker Electrochemical Co., in the respective amounts of $1,302.08 and $12,357.83 for the taxable year ended November 30, 1942; and in the income tax of petitioner Harry M. Hooker in the amount of $7,585.31 for the calendar year 1943; and in the income tax of petitioner Edwin R. Bartlett in the amount of $4,009.50 for the calendar year 1943. The three proceedings were consolidated...
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