
    EQUITY INVESTMENT PARTNERS, LP, Plaintiff-Counter-Defendant-Appellant, v. Karin LENZ, Defendant-Cross-Defendant-Appellee, United States of America, Internal Revenue Service, Defendant-Cross-Claimant-Counter-Claimant-Appellee.
    No. 10-14032.
    United States Court of Appeals, Eleventh Circuit.
    April 1, 2011.
    Eric Allan Lee, Lee & Amtzis, P.L., Boca Raton, FL, for Plaintiff-Counter-Defendant-Appellant.
    
      April Iris Halle, Halle Law Firm PA, Ft. Lauderdale, FL, for Defendant-Cross-Defendant-Appellee.
    Randolph L. Hutter, Thomas F. Koelbl, U.S. Department of Justice, Washington, DC, for Defendant-Cross-Claimant-Counter-Claimant-Appellee.
    Before BARKETT and HULL, Circuit Judges, and SCHLESINGER, District Judge.
    
      
       Honorable Harvey E. Schlesinger, United States District Judge for the Middle District of Florida, sitting by designation.
    
   PER CURIAM:

Equity Investment Partners, LP appeals the district court’s final judgment, entered after a bench trial, holding that the United States’ federal tax lien on certain real property located in Florida has priority over Equity’s mortgages on the same property under 26 U.S.C. § 6323. After hearing witness testimony at trial, the district court made adverse credibility findings that resolved the factual issues in this case, and to which we defer. Based thereupon, we find no reversible error in the district court’s final judgment in favor of the United States.

AFFIRMED.  