The respondent determined the following deficiencies in income tax:
Taxable period Deficiency Year ended Dec. 31, 1946 ------------------------- $30,579.85 Jan. 1 to Sept. 30, 19471 ------------------------ 49,187.56
The principal issues are:
1. Are engineering and designing expenses incurred by the petitioner in the 1947 taxable period in the amount of...
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