PER CURIAM.
Two issues are presented by this appeal from the decision of the Tax Court of the United States. The first is whether a partnership existed at any time during the taxable year 1950 between the taxpayer and the estate of his deceased partner, with the result that the earnings of the business up to June 26, 1950, would be equally divisible between the taxpayer and the estate, and second, whether the net proceeds of taxpayer's anti-trust claim settlement...
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