US TAX COURT
Julie Patriot ) Petitioners, ) DOCKET # 19719-00 V. ) Commissioner Internal Revenue ) Petitioner’s Stipulations Respondent, )
It is hereby stipulated that, for the purpose of this case, the following statements may be accepted as facts and all exhibits referenced to herein and attached hereto may be accepted as authentic and are incorporated in this stipulation and made a part hereof; provided, however, that either party has the right to object to the admission of any such facts and exhibits in evidence on the grounds of relevancy and materiality, but not on other grounds unless expressly reserved herein, and provided that either party may introduce other and further evidence not inconsistent with the facts herein stipulated.
1.Petitioner had 5 dependent children for tax years 2000; five children for 2001; five children for 2002.
2.Petitioner had deductions, business expenses, cost of doing business, losses and other expenses in the amount of 70% of her gross for the tax years 2000, 2001, 2002.
3.Petitioner had illegal telephone excise tax in the amount of $25 for each year.
DONALD L. KORB, Chief Counsel,
INTERNAL REVENUE SERVICE
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Dr. Julie Patriot, Petitioner Pro se
Robert Kaiser
35 Garden Circle Bridgeport, West Virginia 26330 312 Elm Street, Suite 2300
Cincinnati, OH 45202-2727
Date:_________________________ Date:______________________>
Certificate of Service: I do hereby certify that on this date I sent properly a copy of this pleading to opposing counsel.
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Dr. Julie Patriot Robert Kaiser