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Printable Form 3949-A Cape Coral Florida: What You Should Know

It has recently been listed with an asking price of 1,250,000. The listing agent, John F. Dreyer, is a citizen and resident of Florida. Do you think he's going through the trouble to file and report his property taxes on an income-tax return when he really doesn't owe taxes, but he's willing to spend that kind of money in order to get in front of the IRS? If so, ask yourself the following questions: 1) Can you be sure that John F. Dreyer is not a resident of the state of Florida? 2) Is there some reason we would question him after reviewing his Florida tax forms? 3) If there were concerns about the state of Florida, wouldn't we have the opportunity to review his Florida tax forms? And if we had these concerns, why is John F. Dreyer still selling a 1,250,000 condo in Florida? If we thought John F. Dreyer was a serious tax delinquent, we would probably check the details of his Florida tax forms. We wouldn't need to spend 1,250,000. But we aren't concerned about those tax facts. What we care about is that John F. Dreyer isn't a resident of the United States. In this case, John F. Dreyer is being deceptive in claiming he's a resident of Florida when he isn't. And he is in actuality a resident of another state. When I received his return from the IRS, I was surprised at the number of things in that return that were from other states. The following is a sample: I wonder if John F. Dreyer might be doing this for tax-related reasons. Or maybe a little of both....? I do not know his state of residence; he does not share my opinion about this matter. I am only reporting the information on this form as evidence in a proceeding with IRS (IRS Criminal Investigation) to see if there is probable cause to believe that John F. Dreyer is a tax return cheat, and if so what should we do? Furthermore, I can report this information online, as I do with other tax cheats that I have identified -- but then again I think it's worth more money if he is trying to hide something.

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