Memorandum Findings of Fact and Opinion
The Commissioner determined a deficiency of $747.89 in income tax for 1943. The petitioner assigns as error the action of the Commissioner in disallowing amounts claimed for 1942 and 1943 as business expenses, representing the cost of lodgings and meals in New York, and his failure to allow deductions of $1,560 for each year for entertainment.
Findings of Fact
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