Memorandum Findings of Fact and Opinion
The Commissioner determined a deficiency of $265.41 in income tax of the petitioners' for 1962. The petitioners allege that the Commissioner erred in disallowing a deduction of $46.40 claimed for medical expenses and one of $1,160 claimed "on Travel Expenses."
Findings of Fact
The petitioners, husband and wife, filed a joint federal income tax return for 1962...
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