Memorandum Findings of Fact and Opinion
The Commissioner determined a deficiency in petitioner's excess profits tax for the calendar year 1942 in the amount of $145,026.66. The issues involve the computation of petitioner's invested capital for excess profits tax purposes.
Findings of Fact
Petitioner is a New Jersey corporation, organized in 1922, with its principal place of business at Rahway, New Jersey. It filed its excess profits tax return...
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