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Petitioner and Mr. Griffin filed a voluntary petition in the
U.S. Bankruptcy Court, Western District of Texas, San Antonio
Division, under Chapter 13 on August 3, 1999. After they filed
for bankruptcy in 1999, petitioner and Mr. Griffin learned that
their bankruptcy proceeding would be dismissed unless they became
current in the filings of their Federal income tax returns. Due
to the threatened dismissal of their bankruptcy proceeding,
petitioner contacted an enrolled agent to assist her in preparing
joint Federal income tax returns for the 1992 through 1998 tax
years.
On December 15, 1999, petitioner and Mr. Griffin filed their
1992, 1993, 1994, 1995, 1996, 1997, and 1998 joint Federal income
tax returns. Their joint Federal income tax returns for the
taxable years 1992 through 1998, inclusive, show the following:
Taxable Federal Income Amount
Year Total Tax Tax Withheld Owed
1992 $7,118 $1,901 1$5,435
1993 4,697 2,474 22,304
1994 2,751 2,436 315
1995 5,149 4,201 948
1996 4,699 4,051 3659
1997 6,250 2,619 43,756
1998 1,866 821 51,088
1Includes $218 for estimated tax penalty.
2Includes $81 for estimated tax penalty.
3Includes $11 for estimated tax penalty.
4Includes $125 for estimated tax penalty.
5Includes $43 for estimated tax penalty.
The amounts of taxes shown as due on petitioner’s and Mr.
Griffin’s joint Federal income tax returns for tax years 1992
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