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Wasserstein v. Comm'r of Internal Revenue

United States Tax Court
Sep 20, 2021
No. 15560-21S (U.S.T.C. Sep. 20, 2021)

Opinion

15560-21S

09-20-2021

Irving Wasserstein Petitioner v. Commissioner of Internal Revenue Respondent


ORDER

Maurice B. Foley Chief Judge

On August 6, 2021, the Court received from petitioner in the above-docketed proceeding a letter which, although untitled, was in the nature of and will be recharacterized as a Motion for Entry of Decision. The document indicated that the case underlying this matter for taxable year 2018 had been resolved with the Internal Revenue Service (IRS). On that basis, petitioner requested that the instant proceeding be closed.

Upon due consideration, and because the Tax Court cannot dismiss a deficiency case for reason other than lack of jurisdiction without entering a decision specifying the amount of tax due, it is

ORDERED that petitioner's letter filed August 6, 2021, shall be recharacterized as a Motion for Entry of Decision. It is further

ORDERED that, on or before October 12, 2021, either (1) respondent shall file with the Court a response to petitioner's just-referenced motion, specifying therein respondent's position as to the amount(s) to be included in any decision to be entered in the case and whether petitioner is in agreement with such amount, or, alternatively (2) the parties shall submit a stipulated decision resolving this case and incorporating, if applicable, appropriate language establishing petitioner's entitlement to any overpayment.

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Summaries of

Wasserstein v. Comm'r of Internal Revenue

United States Tax Court
Sep 20, 2021
No. 15560-21S (U.S.T.C. Sep. 20, 2021)
Case details for

Wasserstein v. Comm'r of Internal Revenue

Case Details

Full title:Irving Wasserstein Petitioner v. Commissioner of Internal Revenue…

Court:United States Tax Court

Date published: Sep 20, 2021

Citations

No. 15560-21S (U.S.T.C. Sep. 20, 2021)