The previous post (May 28, 2017) mentions a hearing in the Houston IRS summons case scheduled for May 30, 2017, to hear Petitioner’s motion to dismiss by reason of coram non judice (before a person not a judge), and motion to withdraw the unwarranted order included in the order to show cause.
At the hearing on May 30, 2017, the judge immediately announced that the United States Department of Justice attorney for the IRS had, that very morning, submitted a motion to dismiss and that the motion was granted and the case dismissed. Continue reading “USDOJ dismisses Houston IRS summons case; IRS agent issues new summons; Petitioner responds commercially”

