ARUNDELL, Judge:
This proceeding was brought to test the correctness of respondent's determination of deficiencies in income tax for the fiscal years ended May 31, 1948, 1949, and 1950, in the amounts of $23,986.82, $43,196.24, and $9,866.83, respectively.
Petitioner alleges that respondent erred in including in taxable income amounts received during the taxable year in connection with television service contracts for which service was to be rendered...
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