Respondent has determined deficiencies in petitioner's income tax in the amounts of $655.77 and $3,316.89 for the respective calendar years 1940 and 1941. The asserted deficiencies are based primarily upon the inclusion in petitioner's gross income of certain amounts reported as deductions for business expenses by petitioner's corporation, Lucien I. Yeomans, Inc., and in part from the denial to petitioner of the status of "head of a family." Respondent now concedes that status...
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