Memorandum Opinion
WHITAKER, Judge:
Respondent determined a deficiency of $699.80 in petitioners' 1978 Federal income taxes. Respondent has conceded that expenses incurred by Mr. Holberg in taking a flight engineer training course, which were not reimbursed by the Veterans Administration, were properly deductible in 1978. The only issue remaining for decision is whether expenses incurred by Mr. Holberg in taking a pilot training course are nondeductible...
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