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NOTICE: Please be advised ADOR is currently experiencing intermittent issues with the call back feature of its phone system. Technical staff are actively working to resolve the matter by Monday, July 7. We apologize for the inconvenience.

201300040-I

Taxpayers did not show they were in the business of buying and selling properties. Their general expenses could not be deducted on Schedule C but were only deductible as miscellaneous itemized deductions on Schedule A subject to the 2% limitation.
Decision Date
June 13, 2013
Read more about 201300040-I

201300066-I

The Department had no obligation to refund taxes if a timely refund claim is not presented.
Decision Date
July 18, 2013
Read more about 201300066-I

201300068-I

The test for research and experimental expenses in connection with a trade or business under IRC § 174 is broader than the test for deducting ordinary and necessary expenses of carrying on a trade or business under IRC § 162.
Decision Date
September 9, 2013
Read more about 201300068-I

201300106-I

Taxpayer was required to report all of his community property income on his return; Taxpayer did not substantiate his unreimbursed employee expenses.
Decision Date
October 1, 2013
Read more about 201300106-I

201300114-I

Taxpayers did not establish that their activity in a pyramid incentive system was engaged in for profit.
Decision Date
December 9, 2013
Read more about 201300114-I

201300116-I

Taxpayers did not establish that their activity of trading in options was substantial, frequent, regular, and continuous so as to be considered traders in securities.
Decision Date
November 4, 2013
Read more about 201300116-I

201300149-I

Taxpayers were not entitled to the subtraction for active duty military pay for compensation received from the U.S. Public Health Service.
Decision Date
August 22, 2013
Read more about 201300149-I

201300167-I

The fact that the Internal Revenue Code has not been enacted into positive law does not mean that the tax laws have no effect on state residents. It does not render the underlying enactment invalid or unenforceable.
Decision Date
November 26, 2013
Read more about 201300167-I

201300188-I

Taxpayer may not claim a deduction for casualty loss for damage to insured property because a timely insurance claim was not submitted to the insurance company.
Decision Date
March 27, 2014
Read more about 201300188-I

201300240-I

While for peace officers traveling to or from work is considered in the course and scope of employment under A.R.S. § 23-1021.01(A), it is only for purposes of eligibility for workers’ compensation benefits. A police officer may not deduct commuting expenses associated with driving between home and the police station where the officer was stationed.
Decision Date
May 19, 2014
Read more about 201300240-I

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