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convince us that petitioner is using this Court as a stage for
presenting his misguided interpretation of the United States
Constitution and the Federal income tax laws.
Petitioner has caused this Court to waste its limited
resources on stale taxpayer protests which he knew or should have
known are without merit.
In view of the foregoing, we will exercise our discretion
under section 6673(a) and require petitioner to pay a penalty to
the United States in the amount of $1,000.
To reflect the foregoing,
An appropriate order
will be issued, and decision will
be entered for respondent.
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Last modified: May 25, 2011