Certiorari denied.
JUSTICE WHITE, with whom JUSTICE BLACKMUN joins, dissenting.
This case presents the question whether any portion of the cost of a factory's electrical system qualifies for the investment tax credit under § 38 of the Internal Revenue Code, 26 U.S.C. § 38, and if so, what portion. The Code defines "section 38 property" to include "tangible personal property" and "other tangible property," such as industrial machinery, but to exclude...
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