Memorandum Opinion
WELLS, Judge:
This case is before us on respondent's motion to dismiss this case for lack of jurisdiction as to the taxable year 1984 and to strike all references to the taxable year 1984 from the amended petition. Respondent contends that the petition filed by petitioner did not raise any issues regarding the taxable year 1984 and that no other petition was filed within the 90-day period with respect to the taxable year 1984, as required...
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