PER CURIAM.
The Tax Court has again held that it has no jurisdiction to hear and determine an issue involving excess profits taxes for the years 1944 and 1945 under the provisions of Sections 722 and 732 of the Internal Revenue Code of 1939, 26 U.S. C.A. Excess Profits Taxes, §§ 722, 732. This question was thoroughly discussed by this Court in Commissioner v. S. Frieder & Sons Co., 3 Cir.,
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