Barry John and Deborah Lee Houston Mangels - Page 11




                                       - 10 -                                         
          petitioners did not have reasonable cause for the understatement            
          of tax, and they are liable for the accuracy-related penalty if             
          the Rule 155 computation results in an understatement of more               
          than $5,000.                                                                
               Reviewed and adopted as the report of the Small Tax Case               
          Division.                                                                   
               To reflect the foregoing,                                              
                                                  Decision will be entered            
                                             under Rule 155.                          
































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Last modified: May 25, 2011