Opinion
3163-21
06-13-2022
DAVID DINWIDDIE WILLIAMS, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
ORDER
Emin Toro, Judge
This case was calendared for trial during the Court's May 9, 2022, Washington, D.C. trial session. On April 7, 2022, the parties filed a Joint Status Report (Doc. 7) informing the Court that the parties agreed that there is a statutory deficiency for petitioner's 2017 tax year and that respondent's records indicated petitioner was issued a refund for the 2017 tax year. The Status Report further stated that the parties intended to submit a proposed decision to the Court once it is agreed whether petitioner previously received a refund. By Order served April 12, 2022, the case was stricken from the May 9, 2022, Washington, D.C., trial session and the parties were directed to file on or before June 8, 2022, either a joint report or a stipulated decision document.
On June 8, 2022, the parties filed a Joint Status Report (Doc. 9) requesting additional time to trace the refund payment to determine if it was received by petitioner. Upon due consideration, it is hereby
ORDERED that, on or before July 13, 2022, 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.