Estate of Burton W. Kanter, Deceased, Joshua S. Kanter, Executor, and Naomi R. Kanter, et al. - Page 175

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                  (13) whether Kanter is entitled to research and development                           
            and business expense deductions related to Immunological Research                           
            Corp. for 1979;                                                                             
                  (14) whether Kanter received unreported partnership income                            
            during the taxable year 1978;                                                               
                  (15) whether the Kanters are entitled to a loss from GLS                              
            Associates for 1981;                                                                        
                  (16) whether the Kanters are entitled to a loss from Equitec                          
            for 1983 and 1984;                                                                          
                  (17) whether the Kanters are entitled to an investment                                
            interest expense deduction for 1981;                                                        
                  (18) whether the Kanters are entitled to an investment                                
            credit carryover of $120,566 for 1978;                                                      
                  (19) whether the Kanters are entitled to an interest                                  
            deduction for 1986;                                                                         
                  (20) whether the Kanters are entitled to a business                                   
            deduction of $104,231 for 1980;                                                             
                  (21) whether the Kanters are entitled to a deduction for a                            
            charitable contribution to the Jewish United Fund for 1982;                                 
                  (22) whether Kanter is liable for self-employment tax for                             
            the taxable year 1982;                                                                      
                  (23) whether the Kanters realized capital gains and losses                            
            as reported on their tax return for 1987; and                                               







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