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Whistleblower 769-16W v. Comm'r of Internal Revenue

United States Tax Court
Feb 1, 2023
No. 769-16W (U.S.T.C. Feb. 1, 2023)

Opinion

769-16W

02-01-2023

WHISTLEBLOWER 769-16W, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent


ORDER AND DECISION

Emin Toro, Judge

On May 23, 2022, the parties filed a Joint Motion to Remand (Doc. 160). The Motion requests "that the Court enter an order and decision vacating the prior determinations of the Whistleblower Office and remanding the claims to the Whistleblower Office without retaining jurisdiction." Joint Mot. To Remand at ¶ 34 (emphasis added).

For the reasons set forth in the Opinion filed on August 4, 2022, and for cause, it is hereby

ORDERED that petitioner's Motion to Compel Production of Documents (Doc. 25) filed January 10, 2017, is denied as moot. It is further

ORDERED AND DECIDED that the parties' Joint Motion to Remand (Doc. 160) filed May 23, 2022, is granted in that so much of the Whistleblower Office's determination dated December 9, 2015, and supplemental determination dated November 15, 2019, as remain pending before the Court after the Court's Order of Partial Dismissal served August 5, 2022, is vacated. It is further

ORDERED that this case is remanded to respondent's Whistleblower Office for further proceedings consistent with the Court's August 4, 2022, Opinion and the Joint Motion to Remand. It is further

ORDERED that this Court does not retain jurisdiction during the remand.


Summaries of

Whistleblower 769-16W v. Comm'r of Internal Revenue

United States Tax Court
Feb 1, 2023
No. 769-16W (U.S.T.C. Feb. 1, 2023)
Case details for

Whistleblower 769-16W v. Comm'r of Internal Revenue

Case Details

Full title:WHISTLEBLOWER 769-16W, Petitioner v. COMMISSIONER OF INTERNAL REVENUE…

Court:United States Tax Court

Date published: Feb 1, 2023

Citations

No. 769-16W (U.S.T.C. Feb. 1, 2023)