The Commissioner has determined that Jean S. Alexander is liable under section 3467 of the Revised Statutes (31 U. S. C. sec. 192) for a deficiency of $11,419.34 in estate tax due from the Estate of Clarence F. Kipp, and he determined that Elsie D. Kipp and the First Wisconsin Trust Company were each liable for the same deficiency as transferees of property of the Estate of Clarence F. Kipp. The Commissioner has made claim for an increased deficiency by an amended answer...
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