Respondent determined against petitioner Aycock as transferee a liability to the extent of $1,096.70 for a deficiency of $4,176.99 in the excess profits tax of Crystal Products, Inc., for the period April 15-August 15, 1942. He determined against petitioner McGrew as transferee liability for the entire deficiency. Admitting their liability as transferees, petitioners assail the respondent's computation of the corporation's excess profits tax for the short period under the...
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