Civil Rights
Block on Trump's Asylum Ban Upheld by Supreme Court
In a petition in Tax Court for review of a Final Partnership Administrative Adjustment (FPAA) issued to Petitioner by the IRS, the denial of the petition is affirmed where Section 6229(a) of the Internal Revenue Code does not establish an independent statute of limitations for issuing FPAAs.
Read Curr-Spec Ptnrs., L.P. v. Comm'r. of Int'l. Rev., No. 08-60815
Appellate Information
Filed August 12, 2009
Judges
Opinion by Judge Wiener
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