PER CURIAM.
This is a second petition to review a deficiency redetermined by the Tax Court in the petitioner's income taxes for the fiscal year ended June 30, 1940. On the former review in this court we reversed a decision redetermining a deficiency and remanded with directions to make additional findings. Reference is now made to our opinion in Levitt & Sons, Inc. v. Nunan, 2 Cir.,
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