Opinion
14315-20
06-16-2021
Donn Kilburg Petitioner v. Commissioner of Internal Revenue Respondent
ORDER
Maurice B. Foley Chief Judge
On December 10, 2020, petitioner filed the petition to commence this case. The petition indicated that, with respect to tax year 2017, petitioner seeks review of a notice of deficiency, a notice of final determination for disallowance of interest abatement claim, and a notice of determination under section 7623 concerning whistleblower action. Petitioner attached to the petition only a notice of deficiency for his 2017 tax year.
On May 27, 2021, the parties submitted a proposed stipulated decision for the Court's consideration. Upon review, the proposed stipulated decision document addresses only petitioner's claims regarding the notice of deficiency.
Upon due consideration, it is
ORDERED that, on or before July 16, 2021, respondent shall file either (1) an appropriate jurisdictional motion with respect to petitioner's claims regarding a notice of final determination for disallowance of interest abatement claim and a notice of determination under section 7623 concerning whistleblower action, or (2) a written report concerning the then-current status of this case. The parties' proposed stipulated decision will be held pending resolution of this issue.