FEATHERSTON, Judge:
Respondent determined a deficiency in petitioner's Federal income tax for 1964 in the amount of $35,653.65. The only issues presented for decision are:
(1) Whether payments made by petitioner to his former wife are deductible by him as alimony under section 215;
(2) Whether the value of the family residence which petitioner agreed, as one feature of a separation agreement, to deed, or cause...
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