Memorandum Findings of Fact and Opinion
The respondent determined deficiencies in the income taxes of petitioners for 1947 as follows:
Walter A. Camp and Frieda Camp, husband and wife ................. $2,395.78 Werner Orbach ..................... $2,201.31
The sole issue presented is whether petitioners, Walter A. Camp and Werner Orbach, sustained deductible losses in 1947 by reason of the common stock of Sheridan Bakery,...
Let's get started

Welcome to the leading source of independent legal reporting
Sign on now to see your case.
Or view more than 10 million decisions and orders.
- Updated daily.
- Uncompromising quality.
- Complete, Accurate, Current.