Memorandum Findings of Fact and Opinion
HARRON, Judge:
The Commissioner determined a deficiency in income tax for 1951 in the amount of $351.82. The questions to be decided are whether petitioner, J. P. Selby, is entitled to a traveling expense deduction under section 23(a)(1)(A) of the 1939 Code, and, if so, the amount thereof.
Findings of Fact
J. P. and Leta Mai Selby are residents of Memphis, Tennessee. Their joint return for 1951 was...
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