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“Expense for the Cost Basis of Purchased Cattle that Died in
1994" for tax year 1994;
(9) petitioners did not incur the $3 “Other Loss” as
claimed on Form 4797 for tax year 1995;
(10) petitioners did not make a bona fide and reasonable
estimate of their tax liabilities for inclusion with their
application for extension of time within which to file their 1994
Form 1040, U.S. Individual Income Tax Return;
(11) petitioners did not make a bona fide and reasonable
attempt to secure the information necessary to make an estimate
of their tax liabilities for inclusion with their application for
extension of time within which to file their 1994 Form 1040;
(12) petitioners did not remit a proper amount of estimated
tax with their application for extension of time within which to
file their 1994 Form 1040;
(13) petitioners did not make a bona fide and reasonable
estimate of their tax liabilities for inclusion with their
application for extension of time within which to file their 1995
Form 1040;
(14) petitioners did not make a bona fide and reasonable
attempt to secure the information necessary to make an estimate
of their tax liabilities for inclusion with their application for
extension of time within which to file their 1995 Form 1040;
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