Memorandum Findings of Fact and Opinion
The Commissioner determined that the petitioner is liable as transferee for deficiencies in income tax of Columbia-Southern Chemical Company of $10,881.96 for 1957, $68,682.15 for 1958 and $86,964.05 for 1959. The petitioner admits transferee liability for whatever deficiencies are due. The errors alleged and relied upon are that the Commissioner erred in disallowing $20,926.84 for 1957, $132,081.06 for 1958 and $167,238.56...
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