Warren Jack Kidder and Barbara Jeanne Kidder - Page 10

                                       - 10 -                                         

          that petitioners acted in good faith and had reasonable cause               
          and, accordingly, are not liable for the section 6662 penalty for           
          their 1992 or 1993 taxable year.                                            
               To reflect the foregoing and concessions of the parties,               

                                                  Decision will be entered            
                                             under Rule 155.                          

































Page:  Previous  1  2  3  4  5  6  7  8  9  10  

Last modified: May 25, 2011