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another opportunity for a face-to-face hearing, but Ms. Chadwell
would schedule a telephone hearing for July 14, 2005.
On July 5, 2005, Ms. Chadwell sent petitioner a letter
confirming their discussion on June 29, 2005. Ms. Chadwell also
noted that petitioner’s Form 1040 for 2004 had been posted to
petitioner’s account, it reflected no income and no tax, and that
information returns in respondent’s possession showed that
petitioner received income from various sources for 2004. Ms.
Chadwell attached transcripts for 2004 to this letter indicating
petitioner’s sources of income for 2004. Ms. Chadwell requested
a corrected Form 1040 for 2004 in advance of the scheduled
telephone conference.
On July 7, 2005, petitioner’s son contacted Ms. Chadwell.
He stated that petitioner would not be providing the requested
information to Ms. Chadwell and requested that the notice of
determination be issued. Ms. Chadwell asked to speak to
petitioner to confirm this information, and petitioner confirmed
it. Ms. Chadwell gave petitioner another opportunity for a phone
conference. Petitioner, however, refused this offer and stated
she would not provide the requested information.
Ms. Chadwell reviewed the administrative file for 1999,
2000, and 2003, and confirmed that respondent had complied with
all applicable laws and administrative procedures regarding 1999,
2000, and 2003.
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Last modified: May 25, 2011