Opinion
26943-22L
03-14-2023
RODNEY BIGLOW, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
ORDER
Kathleen Kerrigan Chief Judge
On December 5, 2022, a petition was filed to commence the above-docketed case. On March 2, 2023, in accordance with Rule 27(h), Tax Court Rules of Practice and Procedure, petitioner submitted a redacted petition in which references to petitioner's taxpayer identification number in the notice of determination attached to the petition have been eliminated.
The foregoing considered, it is
ORDERED that the unredacted petition filed December 5, 2022, is sealed and shall not be inspected by any person or entity not a party to this case, except by an Order of the Court. It is further
ORDERED that any party submitting for filing redacted and unredacted copies of a document shall clearly mark the original document as "Unredacted" and copies thereof as "Redacted" and submit the "Unredacted" in a separate envelope clearly marked "Unredacted."