PER CURIAM.
This matter comes to the Court on petitioner's appeal from a decision of the Tax Court denying a petition for a redetermination of income tax deficiencies assessed by the Commissioner of Internal Revenue (see Memorandum Opinion of Tax Court, Docket No. 1473-60, filed September 29, 1969).
The sole issue involved on appeal is whether during the years (1963-65) in which the deficiencies were assessed, petitioner qualified for reduced head of household...
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