Belinda Landrea Dennard - Page 7

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               Petitioner is not entitled to a refund of the payment with             
          respect to the 1997 tax year made on February 19, 2001; it is               
          barred under section 6511.                                                  
               Reviewed and adopted as the report of the Small Tax Case               
          Division.                                                                   

                                                  Decision will be entered            
                                             under Rule 155.                          

































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