Opinion
18895-22L
02-22-2023
ORDER
Patrick J. Urda, Judge
This collection due process (CDP) case is currently set on the Court's Houston, Texas, scheduled to begin March 27, 2023. On February 16, 2023, the Commissioner filed an unopposed motion to remand, in which he requests the Court to remand the case to the IRS's Independent Office of Appeals for further consideration. We will grant the motion to remand. Accordingly, it is
ORDERED that the Commissioner's motion to remand is granted, and this case is remanded to the IRS's Independent Office of Appeals for a further hearing. It is further
ORDERED that the hearing shall take place at a reasonable and mutually agreed upon date and time, but no later than May 22, 2023. It is further
ORDERED that this case is stricken from the above-referenced trial session and jurisdiction is retained by the undersigned. It is further
ORDERED that the parties shall, on or before June 21, 2023, file a joint status report (or, if that is not expedient, then separate reports) describing the status of the case and proposing a schedule for further proceedings, and attach thereto a copy of any supplemental notice issued to petitioner.