PER CURIAM:
This is an appeal from the United States Tax Court. The tax court held that there were deficiencies in the income taxes due from the appellants for the taxable years 1980-81. The court found that appellants had received kickbacks which they had not reported as taxable income and that the underpayment of the appellants was due to fraud within the meaning of section 6653(b) of the Internal Revenue Code of 1954. Appellants argue here that the findings made...
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