Opinion
1536-22
03-30-2022
ORDER
Maurice B. Foley, Chief Judge
On March 7, 2022, petitioner filed a Motion To Restrain Assessment or Collection or To Order Refund of Amount of Collected. On March 24, 2022, respondent filed his Objection to petitioner's motion to restrain. Among other things, in his Objection respondent states that respondent's counsel has requested the IRS to abate the improper premature assessment made against petitioner for tax year 2018. Upon due consideration, it is
ORDERED that, on or before April 20, 2022, respondent shall file a First Supplement to his Objection setting forth and discussing fully: (1) whether the IRS has now abated the improper premature assessment made against petitioner for tax years 2018, and (2) whether the IRS has now inputted a litigation hold on petitioner's account for 2018.