Opinion
3629-23S
06-26-2023
NICOLAS M. WITHERILL, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
ORDER TO SHOW CAUSE
Kathleen Kerrigan Chief Judge
The petition commencing the above-docketed matter was filed on February 21, 2023. In that document, petitioner elected to have this deficiency case conducted under the small tax case procedures. However, a review of the record shows that the amount in dispute for petitioner's 2017 tax year exceeds $50,000. The small tax case procedures are only applicable to deficiency cases in which the amount in dispute for each taxable year is $50,000 or less. See section 7463(a)(1), Internal Revenue Code; Rules 170 and 171, Tax Court Rules of Practice and Procedure.
Upon due consideration and for cause, it is
ORDERED that, on or before July 26, 2023, petitioner shall show cause in writing why the Court should not issue an Order directing that the small tax case designation be removed in this case and the proceedings not be conducted under the Small Tax Case Rules.