This proceeding arises from respondent's determination that petitioner, as transferee of Roseland Manufacturing Company, is liable for tax deficiencies for the taxable period January 1, 1944, to October 31, 1944, in the following amounts:
Income tax ------------------------------------------ $2,375.00 Declared value excess-profits tax ------------------- 22,314.10 Excess profits tax ---------------------------------- 104,409.62
The deficiency...
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