Memorandum Findings of Fact and Opinion
TIETJENS, Judge:
Respondent determined deficiencies in income taxes for the years 1950 and 1951 in the respective amounts of $5,703.75 and $5,983.85.
The only question for decision is whether amounts paid to petitioner by Charles C. Haskell & Company, Incorporated, during the taxable year 1951 are includible in petitioner's gross income. Respondent has conceded
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