PER CURIAM.
This is a petition for review of a decision by the United States Board of Tax Appeals, which held petitioner liable for a deficiency in its income tax for 1922 as a result of the approval of rates of depreciation found by the Commissioner of Internal Revenue on account of the wear and tear of machinery and buildings used by petitioner in the manufacture of sugar. Robichaux & Co. v. Commissioner of Internal Revenue, 11 B. T. A. 907.
The finding...
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