PER CURIAM.
Defendant was tried and convicted of failure to file income tax returns for the years 1974 and 1975 in violation of 26 U.S.C. § 7203. At trial the government introduced proof that defendant filed a tax return for 1970, but not 1971 and 1972. A return for 1973 was filed after the investigation started. The government also introduced proof that defendant did not file timely income tax returns for the years 1976, 1977, and 1978. The single claim raised...
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