Richard R. Reed - Page 1

                                 T.C. Memo. 1996-213                                  


                               UNITED STATES TAX COURT                                


                           RICHARD R. REED, Petitioner v.                             
                    COMMISSIONER OF INTERNAL REVENUE, Respondent                      


               Docket No.  18466-94.                     Filed May 1, 1996.           


                    Held:  With respect to P's 1990 taxable year, the                 
               Court will enter a decision in accordance with R's                     
               computation.                                                           


               Richard R. Reed, pro se.                                               
               Paul K. Voelker, for respondent.                                       

                                 MEMORANDUM OPINION                                   

               LARO, Judge:  Respondent moves the Court for entry of                  
          decision with respect to petitioner’s 1990 and 1991 taxable                 
          years.  Petitioner objects thereto with respect to his 1990 year.           





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