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Leon E. Richartz, docket No. 41987-85
Additions to Tax
Year Deficiency Sec. 6653(a)(1) Sec. 6661
1979 $45,528 $2,276 ---
1980 296,373 14,819 ---
1981 879,244 43,962 ---
1982 871,014 43,551 $87,101
Leon E. Richartz, docket No. 25313-86
Additions to Tax
Year Deficiency Sec. 6653(a)(1) Sec. 6661
1983 $67,501 $3,375 $6,750
Maria Rivera, docket No. 41343-85
Additions to Tax
Year Deficiency Sec. 6653(a)(1)
1980 $57,648 $2,882
1981 279,751 13,988
Maria Rivera, docket No. 22921-86
Additions to Tax
Year Deficiency Sec. 6653(a)(1) Sec. 6661
1982 $45,823 $2,291 $4,582
1983 26,894 --- ---
K. Richard Keeler, docket No. 8648-93
Additions to Tax
Year Deficiency Sec. 6653(a)(1)
1981 $4,407,190 $220,360
1982 1,533,276 76,664
1983 158,894 7,945
1984 3,065,654 153,283
Respondent has also determined that all petitioners are liable for
increased interest on an underpayment attributable to a tax-
motivated transaction as defined in section 6621(c).
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Last modified: May 25, 2011