Opinion
9490-24S
06-14-2024
AMNON SILBERGER, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
ORDER
Kathleen Kerrigan, Chief Judge
On June 13, 2024, petitioner filed electronically in the above-docketed matter a document under the designation "First Supplement to Petition". However, review of the record shows that the filing consists of 2021 tax return materials. As such, the filed document appears to be potentially evidentiary in nature, submitted by petitioner in support of petitioner's position herein.
The Court would therefore take this opportunity to advise petitioner that evidentiary materials generally are not filed with the Court; rather, they should be exchanged with counsel for the Internal Revenue Service (IRS) as part of the pretrial process (before trial) and then introduced at trial if the case has not been settled prior thereto. Because the IRS is separate from this Court, petitioner is accordingly advised to contact IRS counsel, once he or she files an answer or motion in this case, directly regarding such matters.
Upon due consideration, it is
ORDERED that the document filed June 13, 2024, at Docket Index No. 7 is hereby deemed stricken from the Court's record in this case.