FAY, Judge:
Respondent determined deficiencies in petitioner's Federal income tax as follows:
Taxable year ended— Deficiency Jan. 3, 1974............................ $50,343 Jan. 2, 1975............................ 48,831 Jan. 1, 1976............................ 445,755
After concessions, the issues are (1) whether petitioner is entitled to an investment tax credit under section...
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