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www.irs.gov/newsroom/courts-fine-taxpayers-for-frivolous-collection-cases-irs-warns

In Burke v. Commissioner, 124 T.C No. 11, the court permitted the IRS to proceed with a levy, agreeing that the “taxpayer had used the collection review procedure ... Burke v. Commissioner. AZ. 124 T.C No. 11. 04/12/05. $2,500. Kilgore v. Commissioner. MA. T.C.M. 2005-24. 02/15/05. $10,000. Kolker v. Commissioner. CA.

www.irs.gov/pub/irs-tege/tc_memo_2006_121.pdf

United States Tax Court. Mark D. GEORGE, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent. No. 19063-03. June 13, 2006. Background: Taxpayer, a member of an Indian tribe, petitioned for redetermination of deficiencies arising from taxpayer's claim of exemption from federal income tax liability.

caselaw.findlaw.com/us-10th-circuit/1721143.html

Dec 18, 2015 ... Of course it's true, as the IRS argues, that to invoke the Fifth Amendment you must “face some authentic danger of self-incrimination.” United States v. Rivas– Macias, 537 F.3d 1271, 1277 (10th Cir.2008) (internal quotation marks omitted). And it's true, as the IRS stresses, that two consecutive Deputy ...