Opinion
18014-22S
11-03-2022
LON G. HURWITZ & TERREA R. VON HURWITZ, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
ORDER
KATHLEEN KERRIGAN, CHIEF JUDGE
Upon due consideration of respondent's Response to Motion to Restrain Assessment or Collection or to Order Refund of Amount Collected, filed November 2, 2022, wherein counsel for respondent states that he has requested a full abatement of the premature assessment in this case, it is
ORDERED that, on or before December 5, 2022, respondent shall file a supplement to his above-referenced Response and shall therein advise the Court of the then-present status of the requested abatement of the premature assessment in this case. Respondent shall attach to such supplement a then-current copy of petitioners' account transcript for the taxable year 2019. It is further
ORDERED that action on petitioners' Motion to Restrain Assessment or Collection or to Order Refund of Amount Collected, filed September 26, 2022, shall be held in abeyance pending further direction by the Court.