Merry J. Chandler - Page 1

                                 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.,                    

               Merry J. Chandler, pro se.                                             
               Ann M. Welhaf and Jeffrey E. Gold, for respondent.                     

Page:   1  2  3  4  5  6  7  8  9  10  Next

Last modified: May 25, 2011