Memorandum Findings of Fact and Opinion
The Commissioner determined a deficiency of $17,628.94 in petitioner's income tax for 1938. Of several adjustments, the two assailed are (1) that the gain derived from a redemption of shares was (a) $19,503 and (b) is taxable in full, and (2) the disallowance of deductions of attorneys' and accountant's fees.
Findings of Fact
The petitioner, a resident of Cleveland, Ohio, filed his income tax return for 1938...
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