WRIGHT v. C.I.R.

Docket No. 07-1462-ag.

571 F.3d 215 (2009)

Raymond WRIGHT, Plaintiff-Appellant, v. COMMISSIONER OF INTERNAL REVENUE, Defendant-Appellee.

United States Court of Appeals, Second Circuit.

Decided: July 7, 2009.


Attorney(s) appearing for the Case

Raymond Wright, New York, N.Y., pro se.

Sara An Ketchum, Esq., on submission, Joan I. Oppenheimer, Esq., United States Department of Justice, Tax Division, on the brief, for Richard T. Morrison, Acting Assistant Attorney General for the United States, for Appellee.

Before JACOBS, Chief Judge, McLAUGHLIN and B.D. PARKER, Circuit Judges.


DENNIS JACOBS, Chief Judge:

This is the third appeal to consider the baffling ramifications of Raymond Wright's failure to file tax returns in 1987 and 1989. See Wright v. Comm'r, 381 F.3d 41 (2d Cir.2004); Wright v. Comm'r, 173 F.3d 848 (2d Cir.1999) (Table). Wright, who has appeared pro se throughout this litigation, has been trying to balance the books on his tax obligations...

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