Opinion
10606-20
08-16-2021
ORDER
Mark V. Holmes, Judge
This case was on the Court's May 24, 2021 trial calendar for New York City, and it began with the filing of a standalone petition for section 6015(f) relief for the 2016 tax year. The IRS did not immediately have the right address for Mr. Isbitiren, who is entitled to receive notice of the petition and his right to intervene. That notice went out to his new address only on April 20. He did not exercise his right to intervene, and the parties recently reported that they will now refer Ms. Ibritiren's request to the CCISO for an administrative determination that might end this case. This will take a while, so it is
ORDERED that the parties file another joint status report on or before October 7, 2021 to describe any progress in the case.