A casual observer mightn’t notice, but US Tax Court is a “medley of extemporanea,” variegated, with curious sidelights and unexpected appearances.
As I scroll through the coming attractions (SPTOs), I notice Floyd J. Mayweather, Docket No. 10353-22, filed 1/11/23. It is, of course, possible, that among some hundreds of millions of taxpayers, two or more persons might have the same name as a well-known boxer and fight promoter. They might even both have disputes meriting a visit to Tax Court’s trial session in Las Vegas, NV.
I am sure the Las Vegas bookies will give you odds; Taishoff says don’t take the bet.
I hope this one goes to trial: should be good blogfodder.
[…] Taishoff Law on January 11 had THE SQUARE CIRCLE. […]
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To those who say that Mr. Mayweather (or his attorney) “threw in the towel,” I can only reply that the petition is sealed, and the order directing Mr. Mayweather to file a redacted version is probably moot. In any event, none of SNOD, petition, or answer is available online, so I cannot tell what IRS claimed or what defenses might be available. Stipulated decisions are opaque, so I can draw no conclusions; and I suggest that others refrain.
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[…] Taishoff Law on January 11 had THE SQUARE CIRCLE. […]
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[…] Taishoff Law on January 11 had THE SQUARE CIRCLE. […]
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[…] Taishoff Law on January 11 had THE SQUARE CIRCLE. […]
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[…] Taishoff Law on Jan. 11 SQUARE CIRCLE. […]
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