Ingersoll v. Commissioner (A)

Leech, </.,

concurring: I doubt the deductibility of the disputed item as a loss. There is, however, it seems to me, evidence upon which it may be deductible as an ordinary business expense under section 23 (a) (1) (A) of the Internal Revenue Code in connection with the business of petitioner as a lawyer. Therefore I am inclined to concur.

OppeR, agrees with the above.