MATTHES, Circuit Judge.
The Commissioner of Internal Revenue determined deficiencies in petitioner's (sometimes referred to herein as "Western") income for the taxable years of 1948 and 1949. After an extended trial on petition for redetermination, the tax court found and adjudged that for 1948 and 1949 there was a deficiency in petitioner's income tax in the amounts of $158,105.81 and $120,160.90, respectively. From this ruling petitioner has brought the case to...
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