Maurice W. Spiegel - Page 11




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          C.   Conclusion                                                             
               For the foregoing reasons, we conclude that respondent’s               
          denial of petitioner’s claim to abate interest relating to his              
          1989, 1991, and 1992 tax years was not an abuse of discretion.              
               To reflect the foregoing,                                              
                                                       Decision will be               
                                                  entered for respondent.             




































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