T.C. Memo. 2003-192
UNITED STATES TAX COURT
JOSEPH W. DORN, Petitioner v.
COMMISSIONER OF INTERNAL REVENUE, Respondent*
Docket No. 6240-00L. Filed July 1, 2003.
Joseph W. Dorn, pro se.1
Timothy R. Maher, for respondent.
SUPPLEMENTAL MEMORANDUM OPINION
COLVIN, Judge: Petitioner filed the petition in this case
under section 6330(d) seeking our review of respondent’s
* In Dorn v. Commissioner, 119 T.C. 356 (2002), we held that
we have jurisdiction under sec. 6330(d) to review respondent’s
determination to collect amounts by jeopardy levy relating to
petitioner’s 1987-89 tax years.
1 On April 7, 2003, David M. Berman and Paul F. Berman filed
a motion to withdraw as counsel for petitioner. That motion was
granted on April 9, 2003.
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