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U.S. v. CONWAY

United States District Court, S.D. California


October 21, 2005.

UNITED STATES OF AMERICA, Petitioner,
v.
GERARD CONWAY, Respondent.

The opinion of the court was delivered by: IRMA GONZALEZ, District Judge

STIPULATION ENFORCING PETITION TO ENFORCE IRS SUMMONS AND ORDER THEREON
Petitioner, the United States of America, and Respondent, Gerard Conway, through their respective counsel, hereby stipulate as follows:

  Petitioner filed a Petition To Enforce Internal Revenue Summonses on August 15, 2005, seeking to enforce two March 23, 2005 IRS summonses directed to Respondent. The summonses sought information to determine Respondent's ability to pay tax liability assessed for specified years and to determine Respondent's tax liabilities for other specified years.

  The Court entered an order on August 17, 2005, directing Respondent to appear in court on October 24, 2005, at 10:30 a.m. to show cause why he should not be compelled to obey the two IRS summonses. Petitioner and Respondent hereby stipulate that the Court may forthwith order that Respondent comply with the summonses, and Respondent affirms that he will comply with the summonses, including having an interview with IRS personnel, if requested. Respondent shall have until December 15, 2005, to comply.

  The hearing on the Petition To Enforce shall be taken off calender.

  ORDER

  GOOD CAUSE SHOWING, it is ordered that Respondent Gerard Conway shall comply with the March 23, 2005 summonses that are the subject of the above-captioned Petition To Enforce Internal Revenue Summonses. Respondent shall have until December 15, 2005 to comply. The October 24, 2005 hearing upon the Petition shall be taken off calender.

20051021

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