PER CURIAM.
The Commissioner of Internal Revenue determined deficiencies in the personal income taxes of the petitioner, Max P. Lash of Brookline, Massachusetts, for the calendar year 1945 in the gross amount of $55,148.95 to which he added the 50% penalty for fraud authorized by § 293(b) of the Internal Revenue Code of 1939. 26 U.S.C. § 293(b) (1952 ed.). On petition for redetermination the Tax Court of the United States was persuaded by the petitioner...
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