
    THE UNITED STATES, PETITIONER, v. KOPPERS COMPANY, INC., SUCCESSOR ON MERGER TO KOPPERS UNITED COMPANY AND SUBSIDIARIES
    [No. 161-52]
    [133 C. Cls. 22; 353 U. S. 983]
   Excess profits tax; unused excess profits credit carryback. Plaintiff to recover.

Defendant’s petition for writ of certiorari denied by the Supreme Court June 3, 1957.  