DRENNEN, Judge:
Respondent determined deficiencies in petitioners' income tax for the years 1958, 1959, and 1960 in the amounts of $12,524.15, $12,979.85, and $10,760.72, respectively. The only issue is the amount allowable to petitioners in each of the taxable years as deductions for contributions of certain tangible personal property to a charitable organization.
FINDINGS OF FACT
The stipulated facts are found as stipulated and the facts...
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