Memorandum Findings of Fact and Opinion
The respondent determined a deficiency of $77.71 in petitioner's income tax for 1947. This deficiency resulted from disallowance of $718 of $1,436, claimed as interest paid on outstanding obligations, in the 1947 return, the disallowance of $75 attorney fees and the loss by theft of $2,000 worth of furniture and lumber of the value of $250, as claimed in petitioner's return...
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