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Cozean v. Comm'r of Internal Revenue

United States Tax Court
Jun 20, 2024
No. 5122-23L (U.S.T.C. Jun. 20, 2024)

Opinion

5122-23L

06-20-2024

MARY PECKHAM COZEAN, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent


ORDER

EMIN TORO JUDGE.

This case was calendared for trial during the Court's March 18, 2024, Houston, Texas, trial session.

On February 13, 2024, respondent filed a Motion to Dismiss on Ground of Mootness (Doc. 17). By Order served February 15, 2024, petitioner was directed to file on or before March 15, 2024, a response to respondent's Motion. As of the date of this Order no response has been received from or on behalf of petitioner.

On February 26, 2024, respondent filed a Motion for Continuance of Trial (Doc. 20). By Order served March 14, 2024, among other things, respondent's Motion was granted, and the undersigned judge retained jurisdiction.

On April 22, 2024, respondent filed a Status Report (Doc. 23). By Order served April 24, 2024, the parties were directed to file either a joint status report describing the status of the case or a stipulated decision document.

On June 13, 2024, respondent filed a Motion to Remand (Doc. 26).

On June 14, 2024, respondent filed a second Motion to Remand (Doc. 27). The second Motion appears to be a duplicate of the first.

Upon due consideration, it is hereby

ORDERED that respondent's Motion to Remand (Doc. 26) filed June 13, 2024, is hereby stricken from the Court's record in this case. It is further

ORDERED that on or before July 5, 2024, petitioner shall file with the Court and serve on respondent a response to respondent's Motion to Remand (Doc. 27) filed June 14, 2024.


Summaries of

Cozean v. Comm'r of Internal Revenue

United States Tax Court
Jun 20, 2024
No. 5122-23L (U.S.T.C. Jun. 20, 2024)
Case details for

Cozean v. Comm'r of Internal Revenue

Case Details

Full title:MARY PECKHAM COZEAN, Petitioner v. COMMISSIONER OF INTERNAL REVENUE…

Court:United States Tax Court

Date published: Jun 20, 2024

Citations

No. 5122-23L (U.S.T.C. Jun. 20, 2024)