Memorandum Findings of Fact and Opinion
The respondent determined deficiencies of $1,680 and $1,330 in the petitioner's income and excess-profits taxes, respectively, for the year 1940.
The sole issue is whether or not the sum of $7,000, paid by the petitioner to the Commonwealth of Pennsylvania as a compromise of a claim for taxes against a subsidiary of the petitioner, and as a condition precedent to the issuance of a license to another subsidiary of the...
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