Question: ReadHornung v. Commissioner, 47 T.C. 428 (1967),which involves the constructive receipt doctrine and how it was used to determine the year of inclusion in taxable

ReadHornung v. Commissioner, 47 T.C. 428 (1967),which involves the constructive receipt doctrine and how it was used to determine the year of inclusion in taxable income. How does the constructive receipt doctrine impact a cash-basis individuals taxable income? What factors could have resulted in a different determination?

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