The respondent has disallowed in part the petitioner's applications for relief under the provisions of section 722 of the Internal Revenue Code for the fiscal years ended August 31, 1941, through August 31, 1946, respectively, and has determined deficiencies in petitioner's excess profits tax in the amounts of $22,646.41, $23,485.18, $21,514.10, and $7,691.50 for the fiscal years ended August 31, 1943, 1944, 1945, and 1946, respectively.
By his affirmative allegation...
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