QURESHI v. U.S. I.R.S.

No. 94-16873.

75 F.3d 494 (1996)

Shuja QURESHI, Plaintiff-Appellant, v. UNITED STATES INTERNAL REVENUE SERVICE, Defendant-Appellee.

United States Court of Appeals, Ninth Circuit.

Decided January 24, 1996.

As Amended on Denial of Reconsideration January 24, 1996.


Attorney(s) appearing for the Case

Shuja Qureshi, Tempe, Arizona, in pro per for plaintiff-appellant.

Gary R. Allen, United States Department of Justice, Tax Division, Washington, D.C., for defendant-appellee.

Before: NORRIS, BEEZER, and TROTT, Circuit Judges.


WILLIAM A. NORRIS, Circuit Judge:

Shuja Qureshi seeks a refund of his 1983 taxes, which were collected by means of levies on his wages and bank account. The Internal Revenue Service disallowed the taxpayer's refund claim on the ground that it was untimely under 26 U.S.C. § 6511(a), which requires the claim to be brought within two years of the date the taxes were paid. The taxpayer then brought suit in the district court, which dismissed the complaint because...

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