Memorandum Findings of Fact and Opinion
This case involves an income tax deficiency determined by the Commissioner for the calendar year 1941, in the amount of $251.62, and an income and victory tax deficiency for the calendar year 1943, in the amount of $8,890.15. The computation of income tax for the calendar year 1942 is involved, three-fourths of which is forgiven and one-fourth of which is included in the tax determined to be payable in 1943. The issue is whether...
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