
    THE UNITED STATES, PETITIONER v. THE OHIO POWER COMPANY
    [No. 218-54]
    [131 C. Cls. 95; 132 C. Cls. 827; 350 U. S. 862, 919; 351 U. S. 980]
   Excess profits tax; accelerated amortization of emergency facilities under section 124 of the Internal Revenue Code.

Order of December 5, 1955, denying defendant’s petition for rehearing following denial of its petition for writ of certiorari vacated by the Supreme Court June 11, 1956, and the petition for rehearing is continued.  