
    Appeal of G. H. MAY.
    Docket No. 1555.
    Submitted March 25, 1925;
    decided April 7, 1925.
    
      DeWitt T. Ware, O. P. A., for the taxpayer.
    
      B. H. Saunders, Esq., for the Commissioner.
    Before Gratjpner, Lansdon, and Littleton.
    From the pleadings and the stipulations filed at the hearing on March 25, 1925, the Board makes the following
    FINDINGS OF FACT.
    1. The taxpayer is an individual whose present address is 233 Broadway, New York, N. Y. The deficiency letter from which this appeal is taken was mailed to the taxpayer November 19, 1924, and sets forth a deficiency in income tax for the calendar year 1919, in the amount of $1,482.59, the deficiency being based on the Commissioner’s determination of a profit to the taxpayer of $13,125.59 on the sale of the taxpayer’s interest in a partnership known as the Georgia-Florida Yellow Pine Company.
    2. The amount of profit realized from this sale was $8,125.59.
   DECISION.

The amount of the deficiency for the calendar year 1919 is determined to be $789.58.  