Friday, September 4, 2015

Kelley Lynch Tax Court Petition Re. Leonard Cohen - There Was And Remains No Whistle Blower Claim

From: Stephen R. Gianelli <>
Date: Fri, Sep 4, 2015 at 7:56 AM
Subject: Docket No. 17085-15 - ORDER Re: pening motion to dismiss

Section 7623 (Order, ¶) refers to the determination by the IRS of a whistleblower claim.

The court wants to know whether the IRS previously served you with a notice of determination of your claim to ascertain if there is anything to appeal at this time and if so whether you filed within 30 days of the date of mailing of the notice of determination as required for jurisdiction.

Therefore, your petition, in part at least, purports to appeal the purported denial of a whistleblower claim relating to Leonard Cohen.