Memorandum Findings of Fact and Opinion
JOHNSTON, Commissioner:
The respondent determined a deficiency of $446.63 in petitioners' income tax for the taxable year 1968. In the determination of the deficiency the Commissioner disallowed interest expenses in the amount of $75.42 to which he now concedes petitioners are entitled. The remaining issues for decision involve business expense deductions totaling $1,981 and a medical expense deduction of $175.30....
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