This proceeding is based upon the Commissioner's disallowance of petitioner's applications for relief under section 722 (a), (b) (2) and (b) (4), Internal Revenue Code, for each of the six taxable years ended March 31, 1941 through 1946, inclusive. Certain deficiencies were determined solely by reason of petitioner's deferment of excess profits taxes shown on its returns for said years pursuant to the provisions of section 710 (a) (5), Internal Revenue Code. Petitioner's...
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