Opinion
22884-19S
05-30-2024
DAMIAN T. HUNTSMAN & BRECKEN T. HUNTSMAN, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
ORDER
Adam B. Landy Special Trial Judge
On December 30, 2019, petitioners filed a Petition disputing the notice of deficiency issued to them for tax years 2015 and 2016. Since more than one calendar year has elapsed between the day the Petition in this case was filed and October 28, 2024, the date of the Salt Lake City, Utah, calendar call and to encourage communication while reducing the need for any further continuances in this case, it is
ORDERED that, on or before July 15, 2024, the parties shall file with the Court a stipulation or certification of the administrative record in this case in accordance with Rule 93, Tax Court Rules of Practice and Procedure, if petitioner Brecken T. Huntsman has filed a request for innocent spouse relief. It is further
ORDERED that, on or before July 31, 2024, the parties shall file written reports (jointly or separately): (1) identifying the specific issues remaining in dispute, (2) discussing whether the parties have met and conferred, either in person or by telephone, to discuss the issues remaining in dispute; (3) describing the efforts that the parties have undertaken or plan to undertake to settle this matter, and (4) informing the Court whether either party plans to file any pretrial motion(s) and, if so, the nature of such motion(s).
If either party believes a telephone conference would be helpful, please contact the undersigned's Chambers Administrator, Linda Thomas, at 202-521-0835 for scheduling purposes.
The parties are advised that no further continuances will be granted absent extraordinary circumstances.