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Petitioner concedes that he failed to file Federal income
tax returns for the 1998, 2000, 2001, 2002, and 2003 taxable
years.
In 1998, petitioner was employed by Scientemps, Inc., Intor,
Inc., and the New Mexico Institute of Mining Technology, and
received wages totaling $8,130, $1,901, and $2,760, respectively.
The New Mexico Institute of Mining Technology withheld $248 in
Federal income tax.
In 2000, petitioner was employed by Sinaf Products, Inc.,
and Intel Corporation and received wages totaling $903 and
$35,343, respectively. Sinaf Products, Inc., and Intel
Corporation withheld $7 and $2,744 in Federal income tax,
respectively.
In 2001, petitioner was employed by Intel Corporation and
received $68,066 in wages. The record in this case does not
reflect any withholding of Federal Income tax from petitioner’s
wages by Intel Corporation during 2001. That year, petitioner
also received $2 in ordinary dividends from UBS Painewebber, Inc.
In 2002, petitioner was employed by Intel Corporation and
received $55,718 in wages; Intel withheld $8,502 in Federal
income tax. That year, petitioner also received $22 in ordinary
dividends from UBS Painewebber, Inc.
In 2003, petitioner was employed by Intel Corporation and
received $56,834 in wages. From that amount, Intel Corporation
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