Opinion
22181-16L
09-14-2021
Michael Barry Kamiel Petitioner v. Commissioner of Internal Revenue Respondent
ORDER
Albert G. Lauber, Judge
This collection due process case was originally calendared on the Court's November 13, 2017, Los Angeles, California, trial session. The case has been con tinued several times, most recently in December 2018, and has since been on a status report schedule. In their June 10, 2021, joint status report, the parties repre sented that the IRS was considering an offer-in-compromise (OIC) that petitioner submitted in November 2020. We instructed the parties to file another joint status report by September 10, 2021.
On September 10 the parties filed a joint status report representing that peti tioner did not submit certain installment payments as agreed and that his OIC was therefore "considered withdrawn." The parties accordingly represent that they have been "unable to resolve the case administratively." In consideration of the foregoing, it is
ORDERED that the parties shall file with the Court, on or before October 15, 2021, a status report (jointly if possible, otherwise separately) expressing their views as to the conduct of further proceedings in this case.
1