PER CURIAM.
This case came on to be heard on the record and briefs and oral arguments of counsel:
And it appearing that the controlling question in the case is whether the dwelling units sold by petitioner during the years 1946 to 1949, inclusive, were held by petitioner for investment or held by petitioner primarily for sale to its customers in the ordinary course of its business, Internal Revenue Code 1939, 26 U.S.C.A. §§ 117(a) (1), 117(j) (1...
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