OPINION.
TURNER, Judge:
The respondent determined deficiencies in excess profits tax in the respective amounts of $2,025 and $15,675.47 against the petitioner for its fiscal years ended October 31, 1943 and 1944, and in the notice of deficiency also stated the disallowance of petitioner's claim for relief under section 722 of the Internal Revenue Code for the said years. On July 26, 1946, the petitioner filed its petition herein, the only claim of...
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