Docket No. 2634-65.

25 T.C.M. 832 (1966)

T.C. Memo. 1966-157

John H. Painter and Zoe M. Painter v. Commissioner.

United States Tax Court.

Filed June 30, 1966.

Attorney(s) appearing for the Case

John H. Painter, pro se, 12 St. Anthony Ct., St. Charles, Mo. Charles B. Tetrick, for the respondent.

Memorandum Findings of Fact and Opinion

SCOTT, Judge:

Respondent determined deficiencies in petitioners' income taxes for the calendar years 1960 and 1961 in the amounts of $435.71 and $601.02, respectively.

The issue for decision is whether petitioner John H. Painter is entitled to deduct all or any portion of amounts received by him from his employer, McDonnell Aircraft Corporation, as per diem living allowances while he was working at Eglin Air...

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