PER CURIAM.
The decision of the Tax Court of the United States which the taxpayer here asks us to review rests upon that court's disposition of a disputed issue of fact. It will suffice for us to say that an examination of the evidence completely satisfies us that the Tax Court's finding is certainly not "clearly erroneous." Title 26 U.S.C. § 7482(a), Rule 52 (a) F.R.Civ.P., 28 U.S.C.
Judgment will be entered affirming the decision of...
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