The petitioner challenges the respondents' finding of taxability claiming that he has been an employee of Art Steel Company of New York City since 1925. Petitioner sells office furniture for Art Steel and has no other income. Petitioner covers a territory of New York City, Northern New Jersey and Philadelphia, servicing company accounts which are assigned to him. His only working desk space is provided by Art Steel. Petitioner engages no assistants or employees of his own...
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