From: Kelley Lynch <kelley.lynch.2010@gmail.com>
Date: Tue, May 21, 2013 at 11:02 AM
Subject: Re: The Anatomy Of Tax Fraud
To: Dennis <Dennis@riordan-horgan.com>, "*irs. commissioner" <*IRS.Commissioner@irs.gov>, Washington Field <washington.field@ic.fbi.gov>, ASKDOJ <ASKDOJ@usdoj.gov>, "Kelly.Sopko" <Kelly.Sopko@tigta.treas.gov>, "Doug.Davis" <Doug.Davis@ftb.ca.gov>, rbyucaipa <rbyucaipa@yahoo.com>, Robert MacMillan <robert.macmillan@gmail.com>, moseszzz <moseszzz@mztv.com>, a <anderson.cooper@cnn.com>, wennermedia <wennermedia@gmail.com>, "Hoffman, Rand" <rand.hoffman@umusic.com>, Mick Brown <mick.brown@telegraph.co.uk>, woodwardb <woodwardb@washpost.com>, "glenn.greenwald" <glenn.greenwald@guardiannews.com>, lrohter <lrohter@nytimes.com>
Leonard Cohen Stranger Music, Inc.
Date: Tue, May 21, 2013 at 11:02 AM
Subject: Re: The Anatomy Of Tax Fraud
To: Dennis <Dennis@riordan-horgan.com>, "*irs. commissioner" <*IRS.Commissioner@irs.gov>, Washington Field <washington.field@ic.fbi.gov>, ASKDOJ <ASKDOJ@usdoj.gov>, "Kelly.Sopko" <Kelly.Sopko@tigta.treas.gov>, "Doug.Davis" <Doug.Davis@ftb.ca.gov>, rbyucaipa <rbyucaipa@yahoo.com>, Robert MacMillan <robert.macmillan@gmail.com>, moseszzz <moseszzz@mztv.com>, a <anderson.cooper@cnn.com>, wennermedia <wennermedia@gmail.com>, "Hoffman, Rand" <rand.hoffman@umusic.com>, Mick Brown <mick.brown@telegraph.co.uk>, woodwardb <woodwardb@washpost.com>, "glenn.greenwald" <glenn.greenwald@guardiannews.com>, lrohter <lrohter@nytimes.com>
To the IRS Commissioner's Staff,
Leonard
Cohen abandoned his green card in 1989 and did not receive his new
green card until 1993. However, he owned LCSMI. The IRC forbids a
non-resident from having an ownership interest in an S corporation.
According to the corporate records I have provided the IRS, my attorney,
and others, LCSMI was an S corporation from February 1, 1990 through
November 10, 1996. That would seem to indicate that Leonard Cohen's
ownership in this country from 1990 through 1993 was illegal.
Fortunately, I had nothing to do with this entity.
I have now forwarded you, the FBI, and others, the two
deranged emails I received from Gianelli and Cohen fan, Walsh, this
morning. I think it's obvious that Cohen's lawyer - Michelle Rice - was
copied in on emails to me yesterday. These people are clearly out of
their minds.
All the best,
Kelley
Kelley
The
Company was an “S corporation”within the meaning of Section 1361(a) of
the Internal Revenue Code at all times during the period from February
1, 1990 through (and including) November 10, 1996. To complicate
matters, Leonard Cohen abandoned his green card in 1989 and did not
obtain a new card until approximately 1993. The IRC prohibits
non-residents from being shareholders of an S corporation. Shareholders
are restricted to individuals who are citizens of the United States or
resident aliens. This restriction is explicitly stated in the IRC at
section 1361(c). The reason a nonresident alien cannot be a shareholder
of an S corporation has to do with the fact that profits and losses
from an S corporation pass through to a shareholder's personal income
tax return in proportion to his ownership interest and are taxed at the
individual tax rate. A nonresident alien does not pay taxes to the
United States; he pays taxes to his own country.