ARUNDELL, Judge:
Respondent determined a deficiency in income tax for the calendar year 1958 in the amount of $180.10.
The only issue is whether petitioner, Howe A. Stidger, is entitled to deduct, during 1958, as traveling expenses while away from home in pursuit of a trade or business, an amount of $650 for meals while stationed in the Far East.
FINDINGS OF FACT
The stipulated facts are so found and are incorporated herein by this...
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