02/04/2000 00-05 Taxpayer provided on-site set up services for mobile home dealers. Taxpayer was notified of a limited scope audit (C-SPAN) based on a discrepancy between the business income reported on his 1995 federal income tax return and the receipts reported for...
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K-Mart Properties, Inc.
02/01/2000 00-04 Kmart Corporation created a wholly owned subsidiary, Kmart Properties, Inc., ("KPI") and transferred all of its domestic trademarks, tradenames and service marks, ("the Marks") to KPI. KPI licensed them back to Kmart and Kmart paid KPI a royalty fee...
Inez Bay
01/20/2000 00-03 Taxpayer provided proofreading services to a professional court reporting service. Taxpayer was notified of a limited scope audit (C-SPAN) based on a discrepancy between the business income reported on her 1995 federal income tax return and the...
Nyle and Elaine Tack
01/14/2000 00-02 Taxpayer provided photography services to an advertising publication. Taxpayer was notified of a limited scope audit (C-SPAN) based on a discrepancy between the business income reported on their 1995 federal income tax return and the receipts reported...
Richey Construction, Inc.
01/11/2000 00-01 Taxpayer provided photography services to an advertising publication. Taxpayer was notified of a limited scope audit (C-SPAN) based on a discrepancy between the business income reported on their 1995 federal income tax return and the receipts reported...
Judith A. Housley & Associates
11/04/1999 99-28 Taxpayer contested the imposition of the 50% "fraud" penalty imposed under Section 7-1-69. The evidence established that the Taxpayer was a sophisticated taxpayer who understood her obligation to report and pay gross receipts taxes, who charged her...
Fidel and Sadie Ann Avilucea
10/21/1999 99-27 In 1998, the Taxpayers filed a claim for refund of personal income taxes paid during calendar years 1990 through 1993, based upon the fact that their income was earned while working as civilian employees for the Department of Navy in Spain. The...
American Communication Services of Alb., Inc. and ACSI
09/16/1999 99-26 Taxpayers sought to have their NM telecommunications property revalued for tax year 1999 using the unit appraisal method of valuation. Taxpayers claimed the Department had an obligation to notify them of their right to elect between the cost valuation...
George Tucker
07/30/1999 99-25 Taxpayer protested the Department's denial of his claim for refund that had sought to claim a deduction for the resale of services. The Department denied the refund claim because it had previously issued the Taxpayer a 60 day letter to produce the...
Rafael M. Romero
07/19/1999 99-24 The Taxpayer protested the Department's estimated assessments of personal income tax, interest and the fraud penalty as well as the filing of a lien to secure the assessments. The Taxpayer failed to attend the hearing. The Department had obtained...