Opinion
8895-20
05-31-2023
KARI JANE FREMAN, PETITIONER, AND RODNEY C. FREMAN, INTERVENOR, v. COMMISSIONER OF INTERNAL REVENUE, Respondent
ORDER
Courtney D. Jones Judge
On May 1, 2023, the Court directed respondent to file a memorandum addressing potential discrepancies in respondent's Computation for Entry of Decision, and to attach a proposed decision document consistent with respondent's memorandum and computations. On May 26, 2023, respondent filed a Memorandum that satisfactorily explained potential discrepancies in respondent's Computation for Entry of Decision, and acknowledged other errors that required revised computations. Therein respondent explained that, as of the date of filing his Memorandum, respondent's revised computations are still in process, and requested an additional 60 days to file revised computations for entry of decision under Tax Court Rule 155, as well as the revised proposed decision document requested by the Court.
Upon due consideration, it is
ORDERED that, on or before July 25, 2023, respondent shall file a revised computation for entry of decision under Tax Court Rule 155, and attach thereto a proposed decision document.