HOLMES, Circuit Judge.
This appeal is taken from a decision of the Tax Court, and the question presented is: Was the income for the year 1943 taxable to the San Antonio Driverless Company as a corporation, rather than to the Texas Driverless Company, an alleged partnership, for the first two months of 1943, and to W. G. Duncan, as an individual, for the balance of the year?
The principal contention of the taxpayer is that Texas Driverless Company was a partnership...
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