Opinion
5498-21
06-28-2021
Leatha Addreinne Sweatt Petitioner v. Commissioner of Internal Revenue Respondent
ORDER
Maurice B. Foley Chief Judge.
Upon due consideration of the Motion To Dismiss for Lack of Jurisdiction as to (1) Tax Years 2019, 2020, & 2021; (2) Petitioner's Notice of Certification of Your Seriously Delinquent Federal Tax Debt to the Department of State Allegations; and (3) Notice of Determination Concerning Relief from Joint or Several Liability Under 6015 (or Failure of IRS to Make Determination Within 6 Months After Election or Request for Relief), filed June 24, 2021, by respondent in the above-docketed case, it is
ORDERED that, on or before July 23, 2021, petitioner shall file an objection, if any, to respondent's just-referenced motion. Failure to comply with this Order may result in the granting of respondent's motion and partial dismissal of the instant case as to the years and notices listed above or other appropriate action by this Court. The case as to the notice of deficiency for 2018 issued to petitioner is not affected by respondent's motion and will continue before the Court, regardless of any action on the motion.
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