- 6 - accountants) as to the amounts of compensation that he had received from his employers. Petitioner presented no evidence. At all relevant times, including the time of filing his petition, petitioner has been a resident of Jeffersonville, Indiana. Petitioner did not file Federal income tax returns for any of the taxable years 1992, 1993, or 1994. Petitioner is a skilled craftsman in the jewelry trade, doing designing, engraving, wax carving, stone setting, casting, finishing, polishing, and general repair. For his services as a jewelry craftsman, petitioner received the following amounts of compensation: Payer Aesthetics in G. Metry Year Jewelry, Inc. Jewelers, Inc. 1992 $27,940 --- 1993 29,963 $14,735 1994 23,708 15,544 Petitioner also received unemployment compensation of $105 in 1994. During the years in question, the following amounts of Federal income tax were withheld from petitioner's wages by Aesthetics in Jewelry, Inc.: Taxable Amounts Year Withheld 1992 $2,715 1993 2,516 1994 1,677Page: Previous 1 2 3 4 5 6 7 8 9 Next
Last modified: May 25, 2011