Memorandum Findings of Fact and Opinion
Respondent determined deficiencies of $413.60 and $334.40 in petitioners' income taxes for the taxable years 1948 and 1949, respectively. The ultimate question presented is whether for each of the taxable years involved petitioner Earl H. Snyder was an employee or an independent contractor.
Findings of Fact
Petitioners, husband and wife, are residents of Houston, Texas. Their joint income tax returns for...
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