PER CURIAM.
A Tax Court ruling that the petitioner was liable for certain income tax deficiencies and fraud and delinquent penalties for the years 1944, 1945 and 1946 was reviewed by this Court in 1955. The ruling of the Tax Court was affirmed, with the exception of the calculation of net worth and the computations based thereon. The case was remanded to the Tax Court for recomputation of petitioner's net worth and for recalculation of ordinary income taxes and fraud...
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