Memorandum Findings of Fact and Opinion
Respondent determined deficiencies of $281.20 and $282.51 in income tax for 1949 and 1950, respectively. The only issue is whether respondent erred in disallowing deductions for those years of $1,784 and $1,758, respectively, claimed as "living expenses."
Findings of Fact
Petitioner is an individual. He filed his Federal income tax returns for 1949 and 1950...
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