Opinion
13342-23L
06-21-2024
PETER A. ROMAN, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
ORDER
Emin Toro Judge.
This collection due process case was calendared for trial during the Court's April 22, 2024, New York, New York, trial session. On February 26, 2024, respondent filed an unopposed Motion to Remand (Doc. 12) asking the Court to remand the case to the IRS Independent Office of Appeals (IRS Appeals) for further consideration. By Order served February 28, 2024, among other things, respondent's Motion to Remand was granted, and this case was remanded to IRS Appeals for further consideration.
On June 17, 2024, respondent filed a Status Report (Doc. 16).
Upon due consideration, it is hereby
ORDERED that, on or before July 5, 2024, respondent shall file a supplement to his Status Report and attach thereto a copy of the supplemental notice of determination concerning collection action issued to petitioner. It is further
ORDERED that, on or before July 17, 2024, the parties shall file with the Court either a joint report (or, if that is not expedient, then separate reports) describing the status of the case or a stipulated decision document.