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Edward J. PILLIS, Petitioner, v. COMMISSIONER OF INTERNAL REVENUE, Respondent
PER CURIAM:
The taxpayer assigns error to the dis-allowance of the dependency exemption he claimed for a daughter in 1963. We affirm on the opinion of the Tax Court. Pillis v. Commissioner of Internal Revenue, 47 T.C. 707 (1967).
Affirmed.
