Memorandum Findings of Fact and Opinion
DISNEY, Judge:
In this case we are asked to redetermine a deficiency of $3,292.62 in income tax for 1936, all of which is involved. The questions presented are whether the petitioner had certain income from salary and whether the statute of limitation had run upon assessment. An additional question as to the year 1938, for which the Commissioner determined a deficiency of $201.61 has not been the subject of either...
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