Opinion
9178-21L
06-10-2024
SHELLY V. JACKSON & ERICK L. JACKSON, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
ORDER
Emin Toro, Judge
On March 28, 2024, the parties filed a Joint Motion to Dismiss the Taxable Year 2015 on Grounds of Mootness (Doc. 36). The parties seek to dismiss the case as to the taxable year 2015 "given that the income tax liability for that year has been satisfied and the proposed levy as to the taxable year 2015 is no longer necessary." See Green-Thapedi v. Commissioner, 126 T.C. 1, 7 (2006). Upon due consideration and for cause, it is hereby
ORDERED that the parties' Joint Motion to Dismiss the Taxable Year 2015 on Grounds of Mootness is granted, and this case is dismissed on the ground of mootness as to the taxable year 2015.