Memorandum Findings of Fact and Opinion
WITHEY, Judge:
The respondent determined a deficiency of $3,853.44 in the income tax of the petitioner for the taxable period February 18, 1947, through December 31, 1947, and a deficiency of $3,989.19 for the year 1948. The year 1949 is involved because of a net operating loss carry-back from 1949 to the taxable period February 18, 1947, through December 31, 1947, and to 1948. By stipulation of the parties all of...
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