F. D. BISSETT SON v. COMMR. OF INTERNAL REVENUE, 56 T.C. 453 (1971) F. D. BISSETT SON, INC., PETITIONER v. COMMISSIONER OF INTERNAL REVENUE,RESPONDENT Docket No. 295-69.United States Tax Court. Filed June 1, 1971. Petitioner deducted $5,500 in interest accrued in connection with certain of its debentures in each of the taxable years 1965, 1966, […]