Memorandum Opinion
WITHEY, Judge:
This proceeding is before us under mandate from the United States Court of Appeals for the Sixth Circuit to redetermine deficiencies in accordance with the opinion of that court which appears at 225 Fed. (2d) 284 [55-2 USTC ¶ 9541].
In determining deficiencies in the petitioner's income tax for the years 1943 through 1946, the respondent, among other things, determined petitioner's gross receipts from the sale...
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