Gary T. Mackey - Page 14

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          deficiencies for those years; and (3) respondent has satisfied              
          his burden of production with respect to the additions to tax for           
          1996 and 1997, but not with respect to the addition to tax for              
          1995.                                                                       
               To reflect the foregoing,                                              

                                                  Decision will be entered            
                                             under Rule 155.                          

































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