Nita B. Leissner - Page 13

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          VI.  Conclusion                                                             
               We hold that petitioner is entitled to a refund of the                 
          amount levied from her Merrill Lynch account that was applied to            
          her 1986 and 1987 tax liabilities.                                          
               To reflect the foregoing,                                              

                                                   Decision will be entered           
                                             for petitioner.                          

































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