In Uncategorized on 06/17/2016 at 15:08

A meagre gleaning from the hundred or so orders thus far appearing on the Tax Court’s website is a reminder that, although the solstice is still some days away, it’s already summertime in The Glasshouse at 400 Second Street, NW.

So I’m thrown back to remembering a Disney summer catchpenny from 1989 to entitle the story of Chastity Kirven, Docket No. 30393-15W, filed 6/17/16.

Chastity is opposing summary J, but her Certificate of Service leaves off the address of IRS’s counsel (presumably that person listed on the Tax Court docket search, located at 1111 Constitution Avenue, NW), drawing an admonition from Ch J L. Paige (“Iron Fist”) Marvel.

This sort of thing I’d ordinarily let slide, but for something quite unusual.

I’ll let Ch J Iron Fist tell you all about it.

“…petitioner failed to explain the large discrepancy between the number of pages in the unredacted opposition (315) and the redacted opposition (122). Rule 27(e) provides that a person filing a redacted document may also file an unredacted copy under seal. A 315 page unredacted opposition is not a ‘copy’ of a 122 page redacted opposition.” Order, at p. 1. (Emphasis by the Court).

So, Chastity, file an unredacted 122 page opposition; if you can. See the title of the blogpost above.

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