The question presented for decision in this case is whether income from two trusts for the years 1939, 1940 and 1941 is chargeable to the trustor under Section 22(a) of the Internal Revenue Code, 26 U.S.C.A. Int. Rev.Code, § 22(a). The facts were stipulated and are not in dispute. The facts necessary for consideration of the legal question are substantially these:
Appellant, Peter Sinopoulo...
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