MARTIN, Chief Justice.
The decision herein appealed from is reported in 6 B. T. A. 843.
The appellant appealed to the Board of Tax Appeals from a deficiency letter of the Commissioner of Internal Revenue which showed the status of appellant's tax liabilities for the years 1917 to 1922, as follows: For 1917, a deficiency of $743.45; for 1918, an overassessment of $952.06; for 1919, an overassessment of $3,130.83; for 1920, a deficiency of $10,899.49; for 1921...
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