PER CURIAM.
This case is brought here by petition from a decision of the Board of Tax Appeals denying him relief from deficiencies in income taxes found for the years 1924, 1925, 1926, and 1927.
The deductions claimed by the petitioner were for amounts alleged to have been expended by him in the years in question in writing and publishing certain books, as losses sustained in carrying on a trade or business within the provisions of section 214 of the Revenue...
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