OPINION
PER CURIAM:
This is a petition transferred from the United States Tax Court, where it was originally filed, for redetermination of plaintiff's excessive profits for its fiscal year ended October 31, 1967, as received or accrued by its predecessor in interest, Hicks-Ponder Company, under defense contracts and subcontracts. We have jurisdiction under 50 U.S.C.App. § 1218, as amended. The Renegotiation Board, by its unilateral order dated...
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