Memorandum Opinion
OPPER, Judge:
Respondent determined a deficiency in income and victory taxes for the year 1943 in the amount of $6,941, not all of which is in controversy.
Another unrelated adjustment not being contested and it being stipulated that petitioner could and did report the receipt of income in a lump sum in 1943 for services performed during the years 1936 to 1943, pursuant to Internal Revenue Code, section 107 (a), the sole remaining...
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