This proceeding involves only a portion of the deficiency in the amount of $143.31 in income and victory tax for the calendar year 1943.
The only question presented is whether the respondent, in determining petitioner's tax liability for 1943, including the unforgiven taxes for 1942, erred in disallowing as a deduction the entire amount claimed for medical expenses incurred and paid during the calendar year 1942.
The proceeding was submitted upon a stipulation...
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