LITTLETON, Judge.
The incidents upon which plaintiff relies for support of her contention that certain of the income upon which she was held taxable for 1919 was received by her in her capacity as trustee for Regina C. Gilmore began in 1907 with the issuance to plaintiff of a stock certificate of 166 2/3 shares of stock of the A. A. Cooper Wagon & Buggy Company and ended in 1932 when plaintiff filed in the record in this case a declaration of trust executed by...
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