Memorandum Findings of Fact and Opinion
The Commissioner determined a deficiency of $19,762.18 in the income tax of the petitioner for the calendar year 1940. The issues for decision are:
(1) whether the petitioner's basis for loss on four mountain properties was $120,193.62 or a much smaller amount;
(2) whether the petitioner realized income of $100,800 from a transaction in which
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