KENYON, Circuit Judge.
Respondent, a Delaware corporation, is transferee of the assets of the White Eagle Petroleum Company, a Kansas corporation, herein designated as transferror, which had its principal place of business in that state up to the year 1919. The Commissioner of Internal Revenue determined a deficiency in income and profit taxes of that corporation for the period extending from January 1, 1919, to June 30, 1919, of $68,158.70. On December 31, 1926,...
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