Opinion
2207-18
12-26-2023
ORDER
Elizabeth Crewson Paris, Judge
On March 27, 2023, docket entry 55, the Court issued a Memorandum Opinion (T.C. Memo. 2023-40), which reflects that a decision will be entered under Rule 155 of the Tax Court Rules of Practice and Procedure and denies as moot respondent's Motion to Strike.
On June 21, 2019, respondent filed a Motion to Strike, requesting, pursuant to Tax Court Rules 50(a) and 52, that the Court strike portions of the Affidavit of Shelley Evins and of the Affidavit of Gary M. Duncan; and respondent's response in Opposition to Petitioner's Cross-Motion for Summary Judgment, docket entries 42 and 43.
On July 12, 2019, docket entry 47, petitioner filed an Opposition to Respondent's Motion to Strike.
On June 28, 2023, docket entry 63, the parties filed a Joint Motion for Extension of Time, which requests, pursuant to Rule 25(c) of the Tax Court Rules of Practice and Procedure, an extension of time to submit computations pursuant to Rule 155 of the Tax Court Rules of Practice and Procedure.
By Order dated June 30, 2023, docket entry 64, the Court directed the parties, on or before October 2, 2023, to submit computations for entry of decision under Rule 155 of the Tax Court Rules of Practice and Procedure.
On October 2, 2023, docket entry 65, the parties submitted a Computation for Entry of Decision for the Court's review.
After due consideration, it is
ORDERED that, respondent's Motion to Strike, filed June 21, 2019, docket entry 42, is denied as moot. It is further
ORDERED that the parties' Joint Motion for Extension of Time, filed June 28, 2023, docket entry 63, is granted.