PER CURIAM.
Following a unilateral determination of the Renegotiation Board that the petitioner received excess profits in the amount of $200,000.00 for the taxable year 1952, petitioner sought a redetermination thereof by the Tax Court of the United States. Section 1218, Title 50, U.S.C.A.Appendix. The Tax Court made a redetermination in the same amount. Petitioner seeks a review of the decision of the Tax Court. Section 1218a, Title 50, U.S.C.A.Appendix.
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