TAXIS, P. J., November 8, 1971.
In an adjudication dated August 12, 1971, we ruled on two disputed matters which are again before us on these two exceptions. The first exception, filed by the executor, objects to our award of $249.98 to decedent's widow, this being the amount of a Federal income tax refund for 1970, the year of decedent's death. Three quarterly estimated payments were made for 1970, each for
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