Memorandum Findings of Fact and Opinion
This case involves a deficiency in petitioner's income tax for 1939 in the amount of $5,466.67. The principal question raised is whether petitioner realized a taxable gain on the disposition of all or a part of her shares of Fischer Meat Co. stock.
Respondent determined that petitioner had additional or other income not disclosed by her return for 1939 in the amount of $37,474.44, with this explanatory paragraph in...
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