Memorandum Opinion
FISHER, Judge:
Respondent determined a deficiency in income tax of petitioners for the taxable year 1956 in the amount of $1,547.37.
Respondent concedes that petitioners are entitled to exclude from gross income the amount of $188.54 incurred by Paul Light for transportation, meals, and lodging in moving himself and family from New Orleans, Louisiana, to Newark, New Jersey, Paul having been reimbursed...
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