Kingsbury v. Commissioner
Opinion
SUPPLEMENTAL MEMORANDUM OPINION
FORRESTER,
With respect to Issue 2, we held therein that on their 1968 return, petitioners had improperly deducted $820.73 as unreimbursed employee business expenses. It has now come to our attention that respondent had conceded that $145.34 of these expenses were allowable deductions for 1968. Accordingly, with respect to Issue 2, we now hold that only $675.39 was improperly deducted by petitioners on their 1968 return as unreimbursed employee business expenses.
In all other respects, our said prior Memorandum Opinion is hereby reaffirmed.
Pursuant to that Opinion, respondent, on October 6, 1975, filed a "Computation for Entry of Decision" for 1968, 1969, and 1970, in conformity with
Because of the above-described change in our holding with respect to petitioners' 1968 unreimbursed business expense deductions, it is necessary for the parties to resubmit their respective computations for entry of decision for the year 1968, consequently it is so ordered, and,
Case-law data current through December 31, 2025. Source: CourtListener bulk data.