PIERCE, Judge:
The respondent, in his notice of deficiency herein, determined deficiencies in the income taxes of the petitioner for its fiscal years ended September 30, 1956, and September 30, 1957, in the amounts of $36,546.26 and $746,381.60, respectively; and he also disallowed a claim of petitioner for a refund of $191,491.61 for the latter taxable year ended September 30, 1957. The petitioner, in its petition herein, raised several issues respecting these...
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