The petitioner earned income through self-employment as a research consultant in the field of market and opinion research. He reported his self-employment on his personal income tax returns (IT-208) for the years 1969-1972, but filed no unincorporated business tax returns. He did attach to each personal income tax return a note or statement to the effect that he was engaged in a profession and disclaimed liability for the unincorporated business tax on that ground...
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