Memorandum Findings of Fact and Opinion
FAY, Judge:
Respondent has determined a deficiency of $16,870.48 in petitioner's Federal income tax for the year 1968, plus an addition to tax of $843.52 under section 6653(a).
There being no dispute as to the amount of the deficiency, we are to decide (1) whether petitioner's signature on the joint return she filed with her former husband for 1968 was obtained by duress and (2...
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