Memorandum Findings of Fact and Opinion
The Commissioner determined a deficiency in income tax of $20,827.87 for the calendar year 1941. He held that income in the amount of $49,721.74, which had been reported on a partnership return under the name of Cyril J. Burke — Construction Machinery and Supplies showing one-half distributable to the petitioner and one-half to his wife, was all taxable income of the petitioner. One of the errors assigned is the failure...
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