Larry N. Milby - Page 3

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                       Payor of Wages            Amount of Wages                      
                 Geo P. Reintjes Co., Inc.          1$11,140                          
                 Raytheon Construction, Inc.        3,465                             
                 NPS Energy Services, Inc.          801                               
               1During 1998, Geo P. Reintjes Co., Inc., withheld $137 of              
          tax from petitioner’s wages.  Petitioner did not make any other             
          tax payments with respect to his taxable year 1998.                         
          During 1998, petitioner also received $9,375 in unemployment                
          compensation from the Commonwealth of Pennsylvania.                         
               During 2001, petitioner received a total of $30,877 in wages           
          from the companies indicated below:                                         
                       Payor of Wages            Amount of Wages                      
                        Aycock, Inc.                 $4,993                           
                 Day & Zimmerman NPS, Inc.           14,317                           
                 Minnotte Contracting Corp.          6,520                            
                   Peninsular Engineering            5,047                            
          Petitioner did not make any tax payments with respect to his                
          taxable year 2001.                                                          
               Petitioner did not file a tax return for his taxable year              
          1998 or for his taxable year 2001.                                          
               Respondent issued to petitioner a notice of deficiency (1998           
          notice) for his taxable year 1998.  In the 1998 notice, respon-             
          dent determined that petitioner has unreported wage income of               
          $15,406 and unemployment compensation of $9,375 for his taxable             
          year 1998.  In the 1998 notice, respondent further determined               
          that petitioner is liable for that year for additions to tax                
          under sections 6651(a)(1) and (2) and 6654(a).  Respondent also             
          issued to petitioner a notice of deficiency (2001 notice) for his           





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