Supplemental Memorandum Opinion
TURNER, Judge:
In their Rule 50 computations, made pursuant to the Memorandum Findings of Fact and Opinion entered herein, the parties are in accord as to the amount of the Dixie Groves Company excess profits net income for its final tax period, but they are not in agreement as to adjustments thereto under section 711 of the Internal Revenue Code of 1939, nor as to the computation of the excess profits tax thereon. The respondent...
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