Opinion
17201-23L
03-21-2024
ORDER
Emin Toro, Judge
This collection due process case is currently calendared for trial during the Court's June 3, 2024, New York, New York, trial session. On March 15, 2024, respondent filed an unopposed Motion for Remand (Doc. 8), asking the Court to remand the case to the IRS Independent Office of Appeals (IRS Appeals) for further consideration. Upon due consideration, it is hereby
ORDERED that this case is stricken from the Court's June 3, 2024, New York, New York, trial session, and the parties are excused from appearing at the calendar call on June 3, 2024. It is further
ORDERED that respondent's Motion for Remand filed March 15, 2024, is granted in that this case is remanded to IRS Appeals for further consideration, including a supplemental administrative hearing. It is further
ORDERED that respondent shall offer petitioner the supplemental hearing at the IRS Appeals office located closest to petitioners' residence (or at such other place as may be mutually agreed upon) at a reasonable and mutually agreed date and time, but no later than June 18, 2024. It is further
ORDERED that the parties shall file with the Court, on or before July 18, 2024, a joint report (or, if that is not expedient, then separate reports) describing the status of the case. It is further
ORDERED that the undersigned judge retains jurisdiction of this case.