LITTLETON, Judge.
The plaintiffs, all corporations, had war contracts with the United States, and each of the contracts with which these cases are concerned were subject to renegotiation under the applicable Acts of Congress, whereby the profits to which plaintiffs would be entitled upon completion would be finally determined, and appropriate income tax adjustments made in the year or years of performance, Section 3806, Internal Revenue Code, 26 U.S.C.A. § 3806...
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