MATHEWS, Circuit Judge.
Petitioner, a corporation, seeks reversal of a decision of the Board of Tax Appeals which sustained a determination by respondent, the Commissioner of Internal Revenue, that there was a deficiency of $15,474.48 in respect of the income tax which respondent claimed was payable by petitioner "for the eleven months fiscal period ended November 30, 1928." The facts are not in dispute. As stipulated by the parties and found by the Board, they are...
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