DocketNumber: Docket No. 5624-80.
Filed Date: 9/22/1981
Status: Non-Precedential
Modified Date: 11/20/2020
MEMORANDUM OPINION
GOFFE,
On their 1977 joint Federal income tax return, petitioners elected to compute their tax liability by use of the income averaging provisions contained in sections 1301 through 1305, attaching for that purpose Schedule G of Form 1040 to their return. The computations relating to base period income for 1973 through 1976 reflected on that Schedule are as follows:
1976 | 1975 | 1974 | 1973 | |
Taxable income | $ 7,536 | $ (2,300) | $ (3,200) | $ 2,471 |
Income excluded under | ||||
secs. 911 & 931 | ||||
Zero bracket amount | 3,200 | 3,200 | 3,200 | 3,200 |
"Base period income | ||||
(add lines 1, 2, | ||||
and 3). If less | ||||
than zero, enter | ||||
zero." | $ 10,736 | $ 900 | $ 5,671 |
The parties agree that (1) petitioners' computations of base period income for 1973 and 1976 are correct, and (2) for 1974 and 1975 petitioners' adjusted gross income less itemized deductions and exemptions was ($ 3,200) and ($ 2,300), respectively.
Respondent contends that the negative amounts shown as taxable income*215 for 1974 and 1975 are to be adjusted upward to zero before adding the $ 3,200 zero bracket amount thereto. Petitioners contend that ther $ 3,200 zero bracket amounts are to be added to the negative taxable income amount shown in the table,
We recently decided this same question in the respondent's favor.
Decision will be entered