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FOOTNOTES TO TABLE 1 Although petitioners filed joint returns, for convenience we use the surnames of the spouses whose medical practice transfers are at issue in these cases. 2 Adjustment to the charitable contribution deduction claimed by the partnership. The resulting deficiencies to the partners, Dr. Leon Schimmel and Dr. Carol Lynne Conrad-Forrest, are not at issue in these cases. END OF FOOTNOTES TO TABLE
FOOTNOTES TO TABLE 1 Because the charitable contribution deduction claimed on Schedule A, Itemized Deductions, of the Derbys' 1994 return ($8,913 in cash contributions plus the $65,006 noncash portion at issue in this case) exceeded 50 percent of adjusted gross income, the Derbys' 1994 charitable contribution deduction was limited to $60,212. Respondent denied a deduction for "any amount in excess of $8913" and increased the Derbys' income by $51,409, although it appears that the deduction disallowance should not have exceeded $51,299 (the difference between $60,212 and $8,913). 2 Claimed on an amended return. 3 This is the aggregate amount of the charitable contribution deduction related to the SMF transaction that the partnership allocated to the two partners (Dr. Schimmel ($77,277); and Dr. Conrad-Forest ($85,699)) on the partnership return. The Forms 8283 provided for each partner list a charitable contribution deduction of $96,896 for each. There is no evidence in the record that accounts for the discrepancy. END OF FOOTNOTES TO TABLE
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