REGAN, District Judge.
This action is brought by the Government under Title 26 U.S.C. §§ 7401 and 7403 to reduce to judgment the unpaid balance due on income tax liabilities of the defendants for the years 1952, 1953 and 1954. The tax liabilities, and penalty and interest additions to the tax, totaling $122,872.55, were determined by a stipulated decision of the Tax Court of the United States in the case of Meyer Fried and Fannie Fried v. Commissioner of...
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