Memorandum Findings of Fact and Opinion
WITHEY, Judge:
The Commissioner has determined a deficiency in the income tax of petitioner for the taxable year 1966 in the amount of $506.20. The sole issue to be decided is whether respondent has erred in disallowing as alimony certain monthly payments made by petitioner during that year upon a purchase-money mortgage and note securing his indebtedness upon a house and lot while he and his wife were separated and...
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