T.C. Memo. 2005-99
UNITED STATES TAX COURT
MERRY J. CHANDLER, Petitioner v.
COMMISSIONER OF INTERNAL REVENUE, Respondent
Docket No. 6201-02L. Filed May 9, 2005.
Held: R’s Appeals officer did not abuse his
discretion by sustaining a determination to proceed
with collection by levy of P’s unpaid liabilities
following a telephonic conversation and an exchange of
correspondence with P. P failed to prove that she
requested a face-to-face interview with the Appeals
officer during the course of the sec. 6330, I.R.C.,
hearing.
Merry J. Chandler, pro se.
Ann M. Welhaf and Jeffrey E. Gold, for respondent.
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