HAAS v. U.S.

Docket Nos. 808-R, 809-R.

23 T.C. 892 (1955)

EDWARD P. HAAS, CAROLYN HAAS, ALVIN N. HAAS, RITA HONECKER, ELLA COLING, MARGUERITE HAAS, SUELETTE BRADY, ETHYLAN RICE, PHILLIP MARES, GERMAINE MARES, ELMER MOGENSEN AND FLORENCE H. MOGENSEN, D/B/A HAAS MOLD COMPANY, A PARTNERSHIP, PETITIONERS, v. UNITED STATES OF AMERICA, RESPONDENT. EDWARD P. HAAS, CAROLYN HAAS, AND ALVIN N. HAAS, D/B/A HAAS MOLD COMPANY, A PARTNERSHIP; AND EDWARD P. HAAS, CAROLYN HAAS, ALVIN N. HAAS, RITA HONECKER, ELLA COLING, MARGUERITE HAAS, SUELETTE BRADY, ETHYLAN RICE, PHILLIP MARES, GERMAINE MARES, ELMER MOGENSEN AND FLORENCE H. MOGENSEN, D/B/A HAAS MOLD COMPANY, A PARTNERSHIP, PETITIONERS, v. UNITED STATES OF AMERICA, RESPONDENT.

United States Tax Court.

Filed February 18, 1955.


Attorney(s) appearing for the Case

J. M. Weisman, Esq., for the petitioners.

Harland F. Leathers, Esq., for the respondent.


The respondent by unilateral orders determined that the petitioner, Haas Mold Company, had excessive profits in the amount of $112,904 for its fiscal year ended January 31, 1945, and that its successor, Haas Mold Company, had excessive profits in the amount of $23,730 for its fiscal year ended January 31, 1946.

The issues presented for our decision are:

(1) Whether the respondent was correct in renegotiating the petitioners for the fiscal periods beginning...

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