Summary
holding that because state imposed substantial restrictions on state trooper's lunch arrangements, lunch expenses were deductible as "ordinary and necessary" business expenses under general provisions of § 162
Summary of this case from Putnam v. U.S.Opinion
No. 88-1032.
February 21, 1989, October TERM, 1983.
C.A. 2d Cir. Certiorari denied. Reported below: 860 F. 2d 50.