Opinion
29470-21S
04-10-2023
ORDER
Tamara W. Ashford Judge
This case is currently calendared for trial at the Session of the Court commencing on May 1, 2023, in Pittsburgh, Pennsylvania. On April 6, 2023, pursuant to the Court's Standing Pretrial Order served on the parties on January 13, 2023, respondent filed a Status Report, apprising the Court of the then present status of this case. In addition, on the same day, respondent filed a duplicate Status Report. Respondent reports that the Internal Revenue Service Independent Office of Appeals (Appeals) and petitioner reached a basis for settlement, resolving all issues in this case; there is no deficiency due from, nor overpayment due to, petitioner. Respondent further reports that a decision document has been prepared, but it has not yet been determined who should sign the decision document for petitioner as petitioner is a C corporation that is wholly owned by a section 501(c)(3) organization. Accordingly, respondent has requested additional ownership information from petitioner, including petitioner's Corporate Disclosure Statement; after respondent determines which individual should sign the decision document for petitioner, the parties will be prepared to lodge a decision document with the Court. Upon due consideration, it is hereby
ORDERED that this case is stricken for trial from the May 1, 2023, Pittsburgh, Pennsylvania Trial Session of the Court. It is further
ORDERED that jurisdiction of this case is retained by this Division of the Court. It is further
ORDERED that respondent's Status Report, filed April 6, 2023, and referenced as docket entry number 11, is stricken from the Court's record in this case. It is further
ORDERED that petitioner shall, on or before May 8, 2023, file Form 6, Corporate Disclosure Statement, as required by Rule 20(c), Tax Court Rules of Practice and Procedure. A copy of the form is also available under "Case Related Forms" on the Court's website at www.ustaxcourt.gov/case_related_forms.html. It is further
ORDERED that the parties shall, on or before June 7, 2023, electronically submit to the Court an agreed stipulated decision document or file status reports, separately or jointly, apprising the Court of the then present status of this case.