BASS v. STIMSON

Docket Nos. 108-R, 109-R.

20 T.C. 428 (1953)

JOSEPH A. BASS, RAYMOND J. BASS, JOSEPHINE A. BASS, AND ANITA RUTH BASS, COPARTNERS DOING BUSINESS UNDER THE NAME AND STYLE OF JOSEPH A. BASS COMPANY; PAUL STEENBERG CONSTRUCTION COMPANY, A CORPORATION; AND FLEISHER ENGINEERING & CONSTRUCTION CO., A CORPORATION; ALL TOGETHER AS JOINT CONTRACTORS AND COVENTURERS, PETITIONERS, v. HENRY L. STIMSON, SECRETARY OF WAR OF THE UNITED STATES, AND ROBERT P. PATTERSON, UNDER SECRETARY OF WAR OF THE UNITED STATES, RESPONDENTS.

United States Tax Court.

Promulgated May 22, 1953.


Attorney(s) appearing for the Case

Josiah E. Brill, Esq., and Edmund T. Montgomery, Esq., for the petitioners.

John F. Wolf, Esq., and James H. Prentice, Esq., for the respondents.


In unilateral orders dated August 30, 1944, the respondent1 has determined, under the Sixth Supplemental National Defense Appropriation Act of 1942, as amended by the Revenue Act of 1943 (hereinafter referred to as the Renegotiation Act of 1942, as amended), that the joint venture realized excessive profits on contracts with the United States of America. In Docket No. 108-R, the respondent determined that on certain named contracts, referred to...

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