DEEN, Presiding Judge.
The plaintiff Williams as administratrix c.t.a. of the estate of her decedent received notice of a tax sale of property of the estate on June 4, 1980, apparently to one Wiley. She alleges that she tendered the necessary redemption amount under Code Chapter § 91A-4 (former Code Chapter § 92-83) which was refused and thereafter filed suit to compel defendant Wiley to execute a quitclaim deed back to her. The defendant refused to do so...
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