Memorandum Findings of Fact and Opinion
WITHEY, Judge:
A deficiency has been determined by the Commissioner for the calendar year 1967 in the income tax of petitioners in the amount of $795.08. The only issue presented by the pleadings is whether respondent has erred in disallowing as business expense deductions certain living expenses paid by petitioner Rennie L. Kiah (hereinafter petitioner) while employed by the Internal Revenue Service in Atlanta, Georgia...
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