FULTON FOUNDRY & MACHINERY COMPANY, PETITIONER,
v.
COMMISSIONER OF INTERNAL REVENUE, RESPONDENT
FULTON FOUNDRY & MACHINERY COMPANY, PETITIONER,
COMMISSIONER OF INTERNAL REVENUE, RESPONDENT
249 F.2d 445
United States Court of Appeals for the Sixth Circuit (1957)
Caution
Cited by 2 cases
Opinion of the Court
PER CURIAM.
On petition of the taxpayer, we have reviewed the decision of the Tax Court of the United States holding deficiencies in income tax of the petitioner for its fiscal years 1950 and 1951; and upon the basis of the findings of fact of the tax court, which are supported by substantial evidence and are not clearly erroneous, and for the reasons stated in its opinion reported in 26 T.C. 953, the decision of the tax court is affirmed.