Memorandum Opinion
COHEN, Judge:
Respondent determined a deficiency of $86,987 in petitioners' 1982 Federal income tax. As stipulated by the parties, the issues for decision are (1) whether the partnership February Associates acquired a depreciable interest with respect to its investment in the motion picture "I Ought To Be In Pictures"; if the partnership did acquire a depreciable interest, (2) what was its depreciable basis, and was such basis subject...
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