- 4 - 1983, proposed by petitioner, was stipulated. That stipulation of facts and the exhibits attached thereto are incorporated herein by this reference. Petitioner resided in Tinley Park, Illinois, when her petition was filed. During 1986, petitioner received wages in the amount of $11,333 and nonemployee compensation in the amount of $1,168 from HCM Company. During 1987, she received wages in the amount of $15,927 from HCM Company. HCM Company did not withhold Federal income tax from the wages it paid petitioner during 1986 and 1987. During 1988, petitioner received wages from two companies, HDM and Hamilton, Carver & Lee, Inc. (Hamilton), in the respective amounts of $4,786 and $19,074. Petitioner completed Form W-4, Employee's Withholding Allowance Certificate, and claimed "exempt" from withholding for taxable year 1988. HDM and Hamilton did not withhold Federal income tax from the wages each paid petitioner that year. Also during 1988, petitioner received a distribution in the amount of $76 from the HDM Company Savings and Retirement Plan. During 1989, petitioner received wages from Hamilton in the amount of $20,503, plus a distribution of $710 from her vested portion of Hamilton's profit sharing benefits. Hamilton withheld no Federal income tax from the wages it paid petitioner that year. Petitioner also received unemployment compensation duringPage: Previous 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 Next
Last modified: May 25, 2011