Kevin Ryan Robinson - Page 4

                                        - 4 -                                         

                 2000 Income                Amount                                    
                 Wages--Genfinity Corporation                $43,112                  
                 Wages--Apple Homes Acquisition Corporation  18,015                   
                 Total                                       $61,127                  

          Additionally, during 2000, $7,962 in Federal income taxes was               
          withheld from petitioner’s wages.                                           
               For 1997, 1998, and 2000, petitioner has not filed Federal             
          income tax returns.  Upon audit for each of the years 1997, 1998,           
          and 2000, respondent charged petitioner with the above respective           
          income, treated petitioner as having a single filing status with            
          one exemption, allowed petitioner a standard deduction, and                 
          determined the tax deficiencies and additions to tax at issue               
          herein.                                                                     
               On September 22, 2003, petitioner filed with the Court his             
          petition in which petitioner requested a redetermination of his             
          1997, 1998, and 2000 Federal income tax liabilities.                        
               On November 29, 2004, respondent filed under Rule 121 the              
          instant motion for summary judgment.  On January 19, 2005,                  
          petitioner filed with the Court a response to respondent’s motion           
          for summary judgment in which petitioner made only conclusory               
          allegations with respect to respondent’s determinations of                  
          petitioner’s tax liabilities and additions to tax.                          










Page:  Previous  1  2  3  4  5  6  7  8  Next

Last modified: May 25, 2011