Memorandum Findings of Fact and Opinion
The Commissioner determined deficiencies in income tax of the petitioners as follows:
Docket Year Amount No. Frank E. Peabody.... 19860 1941 $ 6,991.96 Frank E. Peabody and Evelyn M. Peabody 19859 1943 78,779.88
The only issue for decision for 1941 is whether the petitioner is entitled to deduct $37,465.40 in 1941...
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