PER CURIAM.
This case came on to be heard upon the record and briefs and oral argument of counsel.
And it appearing that the Tax Court of the United States, in elaborate findings of fact and conclusions of law, held that the income of the Wholesale Supply Company, a partnership belonging to the four minor sons of the petitioner, should be included in the gross income of the petitioner because such company remained under petitioner's control after he had made...
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