Estate of Burton W. Kanter, Deceased, Joshua S. Kanter, Executor, and Naomi R. Kanter, et al. - Page 164

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                  (3) whether commitment fees paid to Century Industries,                               
            Ltd., during 1981 to 1984 and 1986 represent income earned by and                           
            taxable to Kanter;                                                                          
                  (4) whether Kanter received unreported income from Hi-                                
            Chicago Trust during 1981 to 1983;                                                          
                  (5) whether Kanter is taxable on income attributed to the                             
            Bea Ritch Trusts for 1986 and 1987;                                                         
                  (6) whether Kanter received unreported income from CMS                                
            Investors Partnership for 1982 to 1984 and 1987 to 1989;                                    
                  (7) whether Kanter received unreported income from Equitable                          
            Leasing Co., Inc., during 1983;                                                             
                  (8) whether Kanter received unreported income for 1982                                
            according to the bank deposits method of income reconstruction;                             
            (9) whether Kanter received barter income from Principal                                    
            Services Accounting Corp. during 1988 and 1989;                                             
                  (10) whether the Kanters received unreported interest income                          
            during 1988;                                                                                
                  (11) whether the Kanters are entitled to certain deductions                           
            they claimed on Schedules A and C for 1986 to 1989;                                         
                  (12) whether Kanter realized and must recognize capital                               
            gains as a result of transactions involving Cashmere Investments                            
            Associates, Inc., during 1983, and whether Kanter is entitled to                            
            use the installment method for reporting purposes;                                          







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