STEPHENS, Circuit Judge.
Petitioner here seeks a review by this Court of a decision of the Tax Court of the United States determining a deficiency in income tax for the year ending December 31, 1947, in the amount of $60,902.38.
Petitioner in 1943 was the controlling stockholder in Flexo Manufacturing Company. An open account in taxpayer's name was maintained on the books of the Corporation with the heading "Accounts Receivable — C. H. Wentworth." On...
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