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a barn on that property. The land around the barn and a nearby
house were also utilized by petitioner in his work. Petitioner
and his wife resided in a home, also owned by petitioner’s
parents, which was one-quarter of a mile away from the property
in question.
Petitioners’ Schedule C gross income, cost of goods sold
(COGS), expenses, and net gain or loss from 1977 through 1990 are
as follows:
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