WEISMAN v. I.R.S.

No. 89 Civ. 3553 (MJL).

972 F.Supp. 185 (1997)

Larry M. WEISMAN, Plaintiff, v. INTERNAL REVENUE SERVICE, Defendant.

United States District Court, S.D. New York.

June 17, 1997.


Attorney(s) appearing for the Case

Mary Jo White, U.S. Attorney for the Southern District of New York, New York City by Martin J. Siegel, Asst. U.S. Attorney, for Government.

Larry M. Weisman, New York City, pro se.


OPINION AND ORDER

LOWE, District Judge.

Plaintiff Larry M. Weisman ("Plaintiff"), proceeding pro se, commenced this tax refund action against the Internal Revenue Service ("IRS").1 Currently before the Court is the motion of the United States ("Government"), pursuant to Federal Rule of Civil Procedure 12(c) ("Rule 12(c)"), to dismiss the action for lack of subject matter jurisdiction. No opposition papers were submitted.

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