PER CURIAM.
Paul McMullen appeals his conviction for willful failure to file an income tax return for the year 1976, in violation of 26 U.S.C. § 7203. We affirm.
McMullen argues first that his waiver of counsel was not knowingly, competently, and intelligently made. The district court made an extensive effort to convince him to accept counsel, but he refused, saying he had philosophical differences with lawyers. The record reflects McMullen was well aware...
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