Timothy and Barbara Kosinski - Page 34




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          explained above, assessment of petitioners’ 1997 tax liability is           
          not barred by the statute of limitations.                                   
               We have considered the arguments of the parties that were              
          not specifically addressed in this opinion.  Those arguments are            
          either without merit or irrelevant to our decision.                         
               To reflect the foregoing,                                              

                                                   Decision will be entered           
                                              under Rule 155.                         
































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