THORPE v. DEPARTMENT OF THE TREASURY-INTERNAL REVENUE SERVICE

Civ. No. 18-4956 (KM/SCM).

RHANDALL THORPE and BARBARA J. THORPE, Plaintiff, v. DEPARTMENT OF THE TREASURY-INTERNAL REVENUE SERVICE; PHILLIP DUN, IRS Appeals Team Manager; DEBRA HAYNER, Appeals Officer; and DENISE MURRAY, Team Manager, Defendants.

United States District Court, D. New Jersey.

March 12, 2019.

Editors Note
Applicable Law: 26 U.S.C. § 6702
Cause: 26 U.S.C. § 6702 IRS: Refund of Income Tax Penalty
Nature of Suit: 870 Taxes
Source: PACER


Attorney(s) appearing for the Case

RHANDALL J. THORPE, Plaintiff, pro se.

BARBARA J. THORPE, Plaintiff, pro se.

DEPARTMENT OF TREASURY - INTERNAL REVENUE SERVICE, PHILLIP DUN, IRS Appeals Team Manager, DEBRA HAYNER, Appeals Officer & DENISE MURRAY, Team Manager, Defendants, represented by MATTHEW BRYCE MILLER , US DEPARTMENT OF JUSTICE & STEPHEN SHUCHING HO , U.S. DEPARTMENT OF JUSTICE.


MEMORANDUM OPINION

Plaintiffs Rhandall J. Thorpe and Barbara J. Thorpe, pro se, have filed this action to obtain refunds of IRA early-withdrawal penalties that they calculated and paid in connection with their tax returns for 2002, 2004, 2005, 2007, 2008, 2010, 2012, and 2013. The defendants move,...

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