KERNER, Circuit Judge.
This appeal involves deficiencies in individual income tax redetermined against petitioners for the years 1942, 1943 and 1944.
The questions in this case are:
1. Whether the Tax Court erred in affirming the disallowance by the Commissioner of Internal Revenue of amounts deducted by taxpayer from gross income for the years in question on three old apartment houses as accelerated depreciation or amortization under § 23(
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