Memorandum Findings of Fact and Opinion
HARLAN, Judge:
This case is based upon an application to redetermine a deficiency amounting to $572.50 which the Commissioner declared on the income tax return of petitioner for the year 1941.
The question presented is whether or not petitioner suffered a loss by reason of the non-payment to her of $4,000 which she had paid to her husband, Charles L. Gleaves...
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