BITUMINOUS CASUALTY CORP. v. COMMISSIONER

Docket Nos. 2510-69, 2511-69.

57 T.C. 58 (1971)

BITUMINOUS CASUALTY CORPORATION, PETITIONER v. COMMISSIONER OF INTERNAL REVENUE, RESPONDENT. BITUMINOUS FIRE AND MARINE INSURANCE COMPANY, PETITIONER v. COMMISSIONER OF INTERNAL REVENUE, RESPONDENT.

United States Tax Court.

Filed October 14, 1971.


Attorney(s) appearing for the Case

Charles W. Davis, Frederic W. Hickman, and Ronald F. Lipp, for the petitioners.

Seymour I. Sherman, for the respondent.


DAWSON, Judge:

In these consolidated cases respondent determined the following Federal income tax deficiencies against the petitioners:


   BITUMINOUS CASUALTY CORP.       ||    BITUMINOUS FIRE & MARINE INSURANCE
       DOCKET No. 2510-69          ||       CO., DOCKET NO. 2511-69
                                   ||
Taxable year            Amount     ||  Taxable year         ...

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