Memorandum Findings of Fact and Opinion
The Commissioner determined a deficiency of $406 in income tax for 1947 against John F. Larison and deficiencies of $397.48 for 1948 and $433.40 for 1949 against both petitioners. The only issue for decision is whether four children of John F. Larison by a former marriage received more than one-half of their support from him for each of the taxable years.
Findings of Fact
The returns of the petitioners for...
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