Memorandum Findings of Fact and Opinion
The Commissioner determined a deficiency in income tax for 1949 in the amount of $577.60. The only issue is whether petitioner is entitled to a deduction in 1949 for medical expense under section 23(x), I. R. C. for the cost of travel of himself and of his wife. Petitioners contend that the travel of each was primarily for the mitigation of a disease.
Findings of Fact
William B. Watkins and his wife, Maude...
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