3/5/2012 6:16:42 PM
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Section 5: OPA Board Subject: OPA Loses IRS Case Msg# 823610
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Who is the OPA employee who bears the responsibility for getting us to this point? Who advised from the start that this income was not taxable? How is it possible that OPA made no contingency financial plan for an unfavorable court action? I really don't want to hear that the plan was to asses each member 120 dollars. | ||||||
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For reference, the above message is a reply to a message where: The United States Appeals Court has found against OPA in the IRS case relative to income from Beach Club parking. Net result is OPA will have to pay over $1 million in back taxes. |
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