U.S. v. GASSAWAY

No. 95-6314.

81 F.3d 920 (1996)

UNITED STATES of America, Plaintiff-Appellee, v. John Michael GASSAWAY, Defendant-Appellant.

United States Court of Appeals, Tenth Circuit.

March 28, 1996.


Attorney(s) appearing for the Case

Patrick M. Ryan, United States Attorney, and Susan Dickerson Cox, Assistant United States Attorney, Oklahoma City, Oklahoma, for Plaintiff-Appellee.

David P. Henry and Joe E. White, Jr., Oklahoma City, Oklahoma, for Defendant-Appellant.

Before TACHA, BALDOCK, and BRISCOE, Circuit Judges.


BALDOCK, Circuit Judge.

For the calendar year 1991, Defendant John Michael Gassaway over reported to the IRS his itemized deductions on Form 1040 Schedule A and under reported his business income on Form 1040 Schedule C. Consequently, instead of properly reporting a balance owed of $17,565.00 on taxable income of $92,776.00, Defendant improperly claimed a tax refund due of $6,091.00 on taxable income of $20,969.00.1

A jury convicted...

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