
    THE MARSHALL DRUG COMPANY, PETITIONER, v. THE UNITED STATES
    [No. 47589]
    [118 C. Cls. 532; 341 U. S. 948]
   Income tax; reduction in liabilities resulting from accounts • payable settlements properly considered as income. Petition dismissed.

Plaintiff’s petition for writ of certiorari denied by the Supreme Court June 4, 1951.  