Opinion
7957-21S
11-29-2022
KEITH DAVID MARZAK, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
ORDER AND DECISION
Peter J. Panuthos Special Trial Judge
On November 14, 2022, respondent filed a Motion For Entry of Decision. The motion indicates that there is no deficiency and no addition to tax due from petitioner for the 2017 tax year. The Court will grant respondent's motion.
Premises considered, it is
ORDERED that respondent's Motion For Entry of Decision, filed November 14, 2022, is hereby granted. It is further
ORDERED AND DECIDED that there is no deficiency in income tax due from, nor overpayment due to, petitioner for the taxable year 2017; and
That there is no addition to tax due from the petitioner for the taxable year 2017 under the provisions of I.R.C. § 6651(a)(1); and
That there is no addition to tax due from the petitioner for the taxable year 2017 under the provisions of I.R.C. § 6651(a)(2).