FORRESTER, Judge:
Respondent has determined that petitioners are liable as transferees for a deficiency in the income tax of Schick Enterprises, Inc., for its "taxable year ended January 31, 1959," in the amount of $7,360.14 and an additional deficiency in the amount of $215.70. Petitioners concede transferee liability but contend that there is no deficiency in the tax of the transferor. The issues are (1) whether the deficiency determined in the tax of the...
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