FEATHERSTON, Judge:
Respondent determined deficiencies in petitioners' joint Federal income tax returns for 1967 and 1968 in the amounts of $4,005.92 and $4,571.79, respectively. Concessions having been made by the parties, the only issue for decision is whether the stock of petitioner Paul J. Byrum in Chappell Securities Corp. became worthless in 1967.
FINDINGS OF FACT
Paul J. Byrum (hereinafter referred to as petitioner) and Evelyn J. Byrum...
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