The petition for writ of certiorari to the United States Court of Appeals for the Fifth Circuit is granted limited to the question presented by the petition for the writ which reads as follows:
"Where a deficiency in excess profits tax, based on the income and credits as shown in the taxpayer's return, would have existed except for the subsequent application of Section 722 of the Internal Revenue Code, is the taxpayer liable for interest on the amount of such deficiency...
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