OPINION.
FISHER, Judge:
Respondent determined deficiencies against petitioner in consolidated income tax for the following years and in the following amounts:
1950 ----------------------------------- $1,747.17 1951 ----------------------------------- 29,867.75
The year 1952 is also involved by way of carryback of unused excess profits credit. The questions presented are:
1. In determining the excess profits credit...
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