T.C. Memo. 1997-563
UNITED STATES TAX COURT
MICHAEL G. KROPOSKI, Petitioner v.
COMMISSIONER OF INTERNAL REVENUE, Respondent
Docket No. 8056-96. Filed December 23, 1997.
Held: P failed to prove that any portion of a
payment he received from his former employer after
being laid off constitutes damages excludable under
sec. 104(a)(2), I.R.C.
Michael G. Kroposki, pro se.
Michael P. Breton, for respondent.
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