Robert J. Guadagno - Page 3




                                        - 3 -                                         
          Order and to pay the filing fee of $60 on or before November 15,            
          2002.  The September 16, 2002 Order in the case at docket No.               
          14560-02 further provided that if an amended petition and the               
          filing fee were not received on or before November 15, 2002, the            
          Court would dismiss the case at docket No. 14560-02 or take such            
          other action as the Court deemed appropriate.  Petitioner did not           
          file a response to the Court’s September 16, 2002 Order in the              
          case at docket No. 14560-02.  As a result, on March 4, 2003, the            
          Court entered an order of dismissal for lack of jurisdiction in             
          that case.                                                                  
               On September 20, 2004, respondent assessed petitioner’s tax            
          and the additions to tax determined in the notice relating to               
          petitioner’s taxable years 1995 and 1998, as well as interest as            
          provided for law, for each of those years.  (We shall refer to              
          those assessed amounts, as well as interest as provided by law              
          accrued after September 20, 2004, as petitioner’s unpaid liabili-           
          ties for 1995 and 1998.)                                                    
               Respondent issued to petitioner the notice and demand for              
          payment required by section 6303(a) with respect to his unpaid              
          liabilities for 1995 and 1998.                                              
               On October 31, 2005, respondent issued to petitioner a final           
          notice of intent to levy and notice of your right to a hearing              
          (notice of intent to levy) with respect to his taxable years 1995           
          and 1998.  On or about November 30, 2005, in response to the                







Page:  Previous  1  2  3  4  5  6  7  8  Next 

Last modified: November 10, 2007