ROBINSON, Chief Judge.
This case presents the question whether the gain on the sale of Kenneth D. Grant's interest in the partnership of Grant Chevrolet Company and the income derived from such partnership from September 1, 1950, to the date of the sale should be reported and taxed in the plaintiffs' joint return for the calendar year 1950 or 1951. The answer to this question follows from a determination of the date of sale of the taxpayer's partnership interest....
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