PER CURIAM:
In this suit by the United States against defendant taxpayers to reduce to judgment assessments of income taxes, the principal issue is whether the 6-year period of limitation prescribed by Section 6502(a) (1) of the Internal Revenue Code of 1954 had run prior to institution of the action.
A jeopardy assessment was made on March 24, 1959 against taxpayers, and the complaint herein was filed August 9, 1968, 9 years, 4 months, and 16 days later....
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