PER CURIAM.
On this petition to review a decision of the Tax Court of the United States the sole question is whether certain automobile expenses incurred by the taxpayer in 1951 and 1953 are deductible as "ordinary and necessary expenses * * * in carrying on any trade or business, including * * * traveling expenses * * while away from home in the pursuit of a trade or business." (Internal Revenue Code of 1939, Section 23 as amended, 26 U.S.C. 1952 ed. § 23)<...
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