Memorandum Opinion
DAWSON, Judge:
Respondent determined a deficiency of $1,064 in petitioners' Federal income tax for the year 1974. The only issue remaining for decision is whether petitioner Silas W. Hennessey, Jr., is entitled to a deduction in excess of the amount of reimbursement he received from his employer, the Boeing Company, for employee away-from-home expenses, principally for meals and lodging.
All of the facts are stipulated and are...
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