This proceeding is for a redetermination of an income tax deficiency of $5,913.41 for the calendar year 1939. The sole issue is whether petitioner is taxable upon the excess of receipts over expenditures.
FINDINGS OF FACT.
Petitioner, a corporation organized under the laws of Ohio, filed its income tax return for the calendar year 1939 with the collector of internal revenue at Pittsburgh, Pennsylvania. Petitioner's books
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