Memorandum Findings of Fact and Opinion
This case involves an income and victory tax deficiency for petitioner's taxable year ended December 31, 1943, in the amount of $2,468.28. Certain minor adjustments to 1942 and 1943 income are not in issue, that of the earlier year being adjusted pursuant to the provisions of the Current Tax Payment Act of 1943.
The sole question to be decided is whether payments by petitioner of $2,500 in each of the years 1942 and...
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