LEMISHOW v. COMMISSIONER

Docket No. 18744-96.

110 T.C. 346 (1998)

ALBERT LEMISHOW, PETITIONER v. COMMISSIONER OF INTERNAL REVENUE, RESPONDENT

United States Tax Court.

Filed June 2, 1998.


Attorney(s) appearing for the Case

J. Dudley B. Kimball, for petitioner.

Mark L. Hulse and Laurence D. Ziegler, for respondent.


SUPPLEMENTAL OPINION

TANNENWALD, Judge:

This case is again before us because of differing computations for entry of decision under Rule 1551 submitted to implement our earlier opinion, Lemishow v. Commissioner, 110 T.C. 110 (1998). In that opinion, we held that none of the $480,414 withdrawn from petitioner's individual retirement accounts and Keogh plans during 1993 constituted qualified...

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