Memorandum Findings of Fact and Opinion
The Commissioner determined deficiencies of $492 and $578 in the petitioners' income tax for the calendar years 1966 and 1967, respectively. The only question remaining for decision is whether certain expenditures made by petitioner. Kevin DuBrul, for travel, meals, and lodging during those years were made while he was "away from home" so as to be deductible as "traveling expenses * * * while away from home" within section...
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