Opinion
9719-21L
09-26-2023
ORDER
Patrick J. Urda Judge
This collection due process (CDP) case was remanded to the IRS Independent Office of Appeals for further hearing.
On September 22 and September 25, 2023, the Commissioner and petitioner Scott David Grinstead filed their status reports, respectively. Both reports indicated that this case was still under consideration by the IRS Independent Office of Appeals. The Commissioner's status report further detailed that the settlement officer is currently reviewing Mr. Grinstead's tax returns, amended tax returns, and the net operating loss claims, which would take about several months. Upon due consideration, it is
ORDERED that, on or before January 24, 2024, the parties shall file a joint status report (or separate reports, if that is more expedient) as to the then-present status of this case.