William J. Fleischaker and Donni L. Fleischaker - Page 18




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          Cimarron Federal/Adult Living Centers case.  The settlement,                 
          however, did not release petitioner from claims raised in the                
          1989 Cimarron Federal/Adult Living Centers case.  The record in              
          this case does not disclose the resolution of the 1989 Cimarron              
          Federal/Adult Living Centers case.                                           
               From 1990 to 1992, petitioner paid the following legal fees             
          in the 1990 Cimarron Federal/Adult Living Centers case:                      
                         Year                 Attorney’s fees                          
                         1990                 $19,114                                  
                         1991                 1,131                                    
                         1992                 98                                       
               From 1990 to 1992, petitioner paid the following legal fees             
          in the Cimarron Federal/Fleischaker case:                                    
                         Year                 Attorney’s fees                          
                         1990                 $4,069                                   
                         1991                 167,838                                  
                         1992                 14,089                                   
               In 1991, Petitioner also incurred and paid $3,293 in travel             
          expenses associated with his attempts to settle the Cimarron                 
          Federal/Fleischaker case.                                                    
          Petitioners’ 1991 and 1992 Federal Income Tax Returns                        
               Petitioners timely filed joint individual Federal income tax            
          returns for 1991 and 1992, reporting no tax for 1991 and total               
          tax of $53,464 for 1992.  The return for each year contained two             
          Schedules C, Profit or Loss From Business, for which petitioner              
          was identified as the sole proprietor.  One business was                     






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