PER CURIAM:
John A. Grimes appeals the Tax Court's dismissal of his petition for a tax deficiency redetermination, for failure to state a claim upon which relief may be granted. He also appeals the Tax Court's award of $5000 in damages to the government pursuant to section 6673 of the Internal Revenue Code. The government seeks sanctions on the grounds that Grimes's appeal from the decision of the Tax Court is frivolous. We affirm the Tax Court's dismissal of Grimes...
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