PER CURIAM:
A.A. Washton and Alice G. Washton appeal from Judge Nevas's granting of the government's motion for summary judgment on their claim for a refund on the ground that it is time barred under 26 U.S.C. § 6511(a) (1988). We affirm.
During 1981 and 1982, the taxpayers made estimated tax payments of $71,250 for their 1981 federal income tax liability. They applied for three extensions of time to delay the filing of their 1981 federal income tax return...
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