Memorandum Findings of Fact and Opinion
The respondent determined that petitioners are liable for income tax deficiencies and additions to tax in the following amounts in the following taxable years:
Section 6651(a) Year Ended Deficiency Penalty June 30, 1958....... $ 476.90 $ 1.79 June 30, 1959....... 529.17 ..... June 30, 1960....... 212.00 ..... June 30...
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