PER CURIAM:
The taxpayer appeals from a judgment of the District Court denying her recovery of interest which she had paid upon interest accrued prior to a jeopardy assessment under the Internal Revenue Code of 1939, from the date of notice and demand following the jeopardy assessment until the date of notice and demand following final decision of the Tax Court upon appellant's petition for redetermination of the tax.
The case at bar is substantially identical...
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