MULRONEY, Judge:
The respondent determined deficiencies in the petitioner's income tax for 1951, 1952, and 1953 in the respective amounts of $5,469.57, $30,268.55, and $3,129.58. The issues are (1) whether the amounts of $28,800.04, $158,870, and $153,789.60 received by petitioner in the years 1951, 1952, and 1953, respectively, are includable in its taxable income for those years; (2) whether petitioner failed to report taxable income from newspaper sales...
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