UNITED STATES TAX COURT
                               WASHINGTON, DC

David Patriot and Nancy Patriot    )
Petitioners                        ) DOCKET # 153xx-xx
                                   )
  v.                               ) Supplement to Petition and 
                                   )    Amended Petition
COMMISSIONER OF INTERNAL REVENUE   )
 Respondent                        )       

Petitioners David Patriot and Nancy Patriot filed their Petition dated Jan. 15th 2008 and Amended Petition dated 4-30-08 to appeal the Notice of Determination dated Dec. 17th, 2007.

1) On 7/16/07 petitioners filed for a Collection Due Process Hearing in a timely manner. Said request clearly stated they wanted to call a meeting for Income taxes for the tax years 1998, 1999, 2000, 2001, 2002, 2003, 2004, 2005. Attached is a copy noted as Exhibit A.

2) An appointment was scheduled for September and subsequently rescheduled by the IRS Appeals officer due to a family health crisis. The meeting finally took place on 10/17/2007.

3) To our great shock and surprise and with no Notice, the appeals officer told us during that meeting that the meeting was now only going to be for two of the eight tax years being 1998, and 2005.

4) No collection hearing was held for the other six years being 1999, 2000, 2001, 2002, 2003, 2004.

5) Since the collection hearing was requested for all eight years, petitioners are entitled to a hearing for all eight years.

6) Taxpayers move this court to remand this case back to the appeals division for the missing 6 years.

7) On November 27th, 2007, the IRS issued a 90 Day Notice of deficiency for all eight years. The IRS cannot bring both a tax liability case and a CDPH case both at the same time. The tax service should be required to elect one case or the other.

8) Petitioners have filed all back tax returns stating business expenses, dependents, deductions etc. The retained CPA filed correct tax returns except for missing Tax Basis on sale of mutual funds/stocks and some missing information on the year 2000 when tax records were lost during a move.

9) The IRS had grossly exaggerated the income by double dipping on several years. Taxpayers simply cashed their 1099 reported Commission checks at the issuers bank and made cash deposits in their personal account. Simple math of their personal account deposits reveals the truth.

10) The Petitioners have a meeting scheduled with appeals for the 90 Day Notice of Deficiency case on June 26th, 2008 to clear up these matters once and for all.

11) The Pettioners therefore humbly submit that this case be either remanded back to appeals to cover all of the requested years on the CDPH request or dismissed entirely.

Wherefore Petitioners request relief requested herein above.

_______________________________      June 2nd, 2008
David Patriot
_______________________________      June 2nd, 2008
Nancy Patriot
Alachua, FL  32616

Certificate of Service: I hereby certify that on April 30th, 2008, I mailed by United States Postal Service this Amended Petition to the Clerk of Court at the following address:
United States Tax Court
400 Second Street, NW
Washington, DC 20217

Further, I hereby certify that I have mailed by United States Postal Service this document to the following addresses of opposing attorneys:
Internal Revenue Service
Attention: Joel D. McMahan
400 West Bay Street, Suite 240
Jacksonville, FL 32202

______________________________ Date: June 2, 2008 
David Patriot
Alachua, FL  32616