Opinion
13634-24
09-24-2024
LETICIA AGUILAR, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
ORDER
KATHLEEN KERRIGAN CHIEF JUDGE
On September 20, 2024, the Court received a mailing from petitioner and filed it as petitioner's First Amendment to Petition. The contents of that mailing include a copy of an Internal Revenue Service (IRS) Notice CP2005 dated August 19, 2024, indicating that the IRS's inquiry into petitioner's federal income tax for the taxable year 2022 has been closed with an amount due of $0.00.
Upon due consideration of the foregoing, and in view of the fact that the parties may have resolved their dispute over the underlying tax liability in this case, it
ORDERED that petitioner's First Amendment to Petition is recharacterized as petitioner's Status Report. It is further
ORDERED that, on or before November 25, 2024, the parties shall file either a proposed stipulated decision or a joint report detailing the then-present status of this case.