Opinion
3337-20W
07-13-2022
ROY J. MEIDINGER, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
ORDER
Kathleen Kerrigan Chief Judge
By Order of Dismissal for Lack of Jurisdiction issued July 5, 2022, this case was dismissed for lack of jurisdiction. By Order issued July 11, 2022, petitioner's Motion for Reconsideration of Order was denied and petitioner's Motion for More Definite Statement Pursuant to Rule 51 was stricken from the Court's record.
On July 11, 2022, petitioner filed a Motion for Default and Dismissal and another Motion for Reconsideration of Order. The motions appear duplicative and in both motions petitioner once again requests that the Court set aside or reconsider its Order of Dismissal for Lack of Jurisdiction. We also note that in both motions petitioner continues to improperly include identifying references with respect to the target taxpayer(s) in this case. See Rule 345(b), Tax Court Rules of Practice and Procedure.
Upon due consideration of the foregoing, it is
ORDERED that petitioner's Motion for Default and Dismissal, filed July 11, 2022, is stricken from the Court's record as duplicative. It is further
ORDERED that petitioner's Motion for Default and Dismissal and Motion for Reconsideration of Order, filed July 11, 2022, are sealed from public view and shall be retained by the Court in a sealed file which shall not be inspected by any person or entity not a party to this case, except by an Order of the Court. It is further
ORDERED that petitioner's Motion for Reconsideration of Order, filed July 11, 2022, is denied.