PER CURIAM.
The petitioner asks us to reverse a decision of the Tax Court which upheld deficiency determinations of income tax liability and fraud penalties for the years 1942, 1943, 1944 and 1945. The issues as to the amount of the petitioner's taxable income for the years in question and as to his fraud are purely factual. The findings of fact of the Tax Court are supported by the evidence and cannot be held to be erroneous. They in turn support the Commissioner...
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