PER CURIAM.
Petitioner filed claims for excess profits tax relief under Section 722 of the Internal Revenue Code of 1939, 26 U.S.C.A. Excess Profits Taxes, § 722.
The respondent Commissioner contends that review of this case is precluded by Section 732(c) of the 1939 Code, 26 U. S.C.A. Excess Profits Taxes, § 732(c), reading as follows:
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