Maureen Monsour - Page 12

                                       - 12 -                                         
                                             1987       1988                          
               3 Crowns Motel                $10,681        $ 3,171                   
               Interest & Dividend Income         3,622     8,523                     
               Sched. C Deductions -              8,334                               
               Medical Consultant                                                     
               Sched. C Deductions -              6,109     1,200                     
               Medical Technician                                                     
               Partnership Income & Losses        33,461     87,397                   
               Sched. C Depreciation -                      2,688                     
               Azure Tides Hotel                                                      
               Capital Gains & Losses             3,000     11,209                    
               Itemized Deductions               -28,634     28,634                   
                                             $30,573 [1]$142,822                      
               1Form 886-A erroneously showed the total of the adjustments for 1988 to
          which petitioner and Mr. Monsour had previously agreed as $142,802.         
               On June 17, 1993, petitioner and Mr. Monsour filed a                   
          petition (petition for the taxable years 1987 and 1988) in the              
          Court with respect to the notice for the taxable years 1987 and             
          1988.  (We shall refer to the case that petitioner and Mr.                  
          Monsour commenced when they filed the petition for the taxable              
          years 1987 and 1988 as the case for the taxable years 1987 and              
          1988.)  In that petition, petitioner and Mr. Monsour alleged,               
          inter alia, that respondent erred in failing to determine that              
          petitioner is entitled to relief under section 6013(e).                     
               William F. Winschel (Mr. Winschel) represented petitioner              
          and Mr. Monsour in the case for the taxable years 1987 and 1988.            
          Edward J. Laubach, Jr. (Mr. Laubach), represented respondent in             
          that case.                                                                  
               On November 1, 1994, pursuant to the agreement of the                  
          parties, the Court entered a decision in the case for the taxable           
          years 1987 and 1988 (stipulated decision in the case for the                





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