DAVIS, Circuit Judge.
The Wolf Company, the respondent, filed its income tax returns for the years 1921 and 1922 on March 15, 1922, and June 14, 1923, respectively. Before the Commissioner of Internal Revenue made the deficiency assessments for the years involved, the period of limitation of four years expired under the provisions of section 250 (d) of the Revenue Act of 1921 (42 Stat. 264), and section 277 (a) (2) of the Revenue Act of 1926, 26 USCA § 1057 ...
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