Memorandum Opinion
MULRONEY, Judge:
The respondent determined a deficiency in income taxes due from petitioners for the calendar year 1952 in the amount of $7,705.78. The sole issue in the case is whether petitioners are entitled to certain deductions, in addition to those allowed by the respondent, for club dues and expenses, travel expenses, business promotional expenses at petitioners' residence, and automobile depreciation. Other determinations of the...
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