Opinion
1972-20
12-30-2021
Shakil S. Rahmann Petitioners v. Commissioner of Internal Revenue Respondent
ORDER
Elizabeth A. Copeland, Judge.
On November 9, 2021, respondent filed with the Court a Motion to Compel Production of Documents; and a Motion to Compel Responses to Interrogatories.
Respondent's Motion to Compel Production of Documents requests that petitioner produce at 550 Main Street, Suite 9-351, Cincinnati, Ohio or another location agreed upon by the parties, the documents set forth in Respondent's Request for Production of Documents served on petitioners on September 29, 2021, with such request attached to respondent's motion as Exhibit B.
Respondent's Motion to Compel Responses to Interrogatories requests the Court direct petitioner to answer the interrogatories served on petitioner on September 29, 2021, with such interrogatories delineated in respondent's motion as Exhibit B. Further respondent's motion requests, that upon failure of petitioner to comply to the Court's Order for petitioner's response, that petitioner be prohibited from introducing any facts and evidence about his deductible expenses for the taxable years 2016 and 2017.
After due consideration, and for cause, it is
ORDERED that, on or before January 14, 2022, petitioner shall file a response to respondent's Motion to Compel Production of Documents, filed November 9, 2021. Failure to respond as required by this Order may be deemed consent to the relief sought in the motion. It is further
ORDERED that, on or before January 14, 2022, petitioner shall file a response to respondent's Motion to Compel Responses to Interrogatories, filed November 9, 2021. Failure to respond as required by this Order may be deemed consent to the relief sought in the motion. It is further
ORDERED that the deadline for the parties to file Pretrial memoranda with the Court is extended to January 24, 2022.