The Commissioner determined deficiencies in income tax against petitioner for the years 1952, 1953, and 1954 in the amounts of $157.57, $116.57, and $72.16, respectively. The sole issue is whether expenditures made by petitioner in those years in connection with travel from Los Angeles to New York City and return are deductible as medical expenses.
FINDINGS OF FACT.
Petitioner filed his income tax returns for the years 1952, 1953, and 1954 with the director...
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