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201100238-I

Audit interest is not a penalty, but compensation to the state for the lost time-value of money received after the due date and cannot generally be waived.
Decision Date
January 4, 2012
Read more about 201100238-I

201100248-I

Contribution to the clean election fund made by Taxpayers’ wholly owned LLC, at their direction and which was accounted for by the LLC as a distribution to Taxpayers, constituted a payment by Taxpayers within the meaning of A.R.S. § 16‑954(B).
Decision Date
February 21, 2012
Read more about 201100248-I

201100249-I

Book author who had some of his books published showed that his writing activity was engaged in with a profit motive.
Decision Date
March 12, 2012
Read more about 201100249-I

201100255-I

Taxpayer, a security investor, could only deduct his expenses on his Schedule A, not as business expenses on Schedule C.  Losses incurred by security investors and security traders are not ordinary losses but capital losses limited to a maximum of $3,000 each year.
Decision Date
April 10, 2012
Read more about 201100255-I

201100259-I

The IRS has specific rules regarding the level of substantiation required for charitable contributions depending on the amount contributed and the nature of the contribution.  Taxpayers failed to adequately substantiate most of their claimed charitable deductions.
Decision Date
March 26, 2012
Read more about 201100259-I

201100294-I

Wildlife photographers who had some pictures published in magazines showed that photography activity was engaged in with a profit motive.
Decision Date
June 12, 2012
Read more about 201100294-I

201100302-I

Payments received by a spouse pursuant to a temporary family support order that did not provide a fixed sum for child support are considered alimony payments subject to income tax.
Decision Date
April 16, 2012
Read more about 201100302-I

201100305-I

Equitable recoupment, even if available as a defense in an Arizona tax case, could only be used as a defense and cannot be used to recover erroneously paid tax for which a timely claim for refund was not filed.
Decision Date
March 29, 2012
Read more about 201100305-I

201100309-C

Taxpayer did not use its investment account in its regular trade or business so its investment income was not business income. Reimbursement of shared business expenses from a co-tenant was business income.
Decision Date
July 29, 2012
Read more about 201100309-C

201200048-I

Distributions from a tribe located in another state received by a member of the tribe who was an Arizona resident was subject to Arizona income tax.
Decision Date
May 8, 2012
Read more about 201200048-I

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