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Diesel Power Trading Company, whose earnings were controlled by
petitioner or diverted to his use.
3. Whether petitioner had unreported income from amounts
paid to WHIP, a shell corporation, over which he exercised
dominion and control.
4. Whether petitioner had unreported interest income earned
on First National City Bank of London, England, bank accounts in
his name for the years 1974, 1975, and 1976.
5. Whether petitioner had unreported interest income earned
on a Barclays Bank Bahamas account for the years 1974, 1975, and
1976.
6. Whether petitioner had taxable income from various
miscellaneous items of income paid to him.
7. For the year 1977, whether petitioner's gain on the sale
of his stock in Diesel Power Trading Company must be reported as
a dividend under section 1248, rather than a long-term capital
gain, and what is the correct amount of such gain.
8. Whether petitioner is entitled to reduce the gross
income reported on his return for 1979 by the amount of $348,350
as set forth in an amended return filed for 1979.
9. Whether petitioner is entitled to use the tax
computation of section 1341 for the year 1981.
10. Whether petitioner's taxable income for the years 1973
through 1981 should be increased by adjustments made by
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