Opinion
12421-19
12-01-2023
LONGWOOD PRESERVE HOLDINGS, LLC, LONGWOOD PRESERVE INVESTORS, LLC, TAX MATTERS PARTNER, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
ORDER
Christian N. Weiler Judge
On November 29, 2023, petitioner filed a Motion to Compel Discovery Responses, pursuant to Tax Court Rule 71(c), 72, and 104(b), requesting that the Court enter an order compelling respondent to produce the information sought in Petitioner's Second Set of Interrogatories (Interrogatories 1 and 2) and the documents sought in Petitioner's Third Request for Production of Documents (Requests 1-5), both of which were served on October 19, 2023.
Without prejudging the motion, the Court observes that these discovery requests appear to be reasonable. If there is no valid objection to these discovery requests, respondent should immediately respond and produce the requested information. If the requests are objectionable or the motion should be denied in whole or in part for any other reason, then respondent should so advise the Court.
To enable the Court to resolve the discovery dispute, it is
ORDERED that on or before December 22, 2023, respondent shall file a response to petitioner's Motion to Compel Discovery.