FISHER, Judge:
Respondent determined a deficiency in the amount of $573.66 in petitioner's income tax for the taxable year 1954.
Petitioner concedes the correctness of respondent's determination in relation to the issue involving exclusion from income for dividends received.
The computation of the amount of petitioner's medical expense deduction will be determined under Rule 50.
The substantial questions presented are whether petitioner...
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