Memorandum Findings of Fact and Opinion
The respondent determined a deficiency in income tax of $589.91 against the petitioner for the taxable year 1947. Of the adjustments made in arriving at this deficiency, the petitioner alleges that the respondent erred in not allowing him to treat as back pay a certain sum received by him in 1947 from his former employer in the amount of $10,648.65, which he claims is back pay attributable to services performed by him for...
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