Memorandum Findings of Fact and Opinion
RAUM, Judge:
The Commissioner determined a $433.31 deficiency in petitioners' 1975 income tax. The only matter in dispute is his disallowance of a $3,406 deduction which had been claimed as "employee business expenses" on petitioners' return, and which relates to travel expenses incurred by Catharine Hantzis in connection with a ten-week trip in the summer of 1975 and a three-day trip in December 1975, both from Boston...
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