United States of America v. Royce Gracie et al
United States of America |
Royce Gracie and Marianne Cuttic |
2:2014cv00475 |
January 21, 2014 |
US District Court for the Central District of California |
Paul L. Abrams |
Philip S. Gutierrez |
Taxes |
Available Case Documents
The following documents for this case are available for you to view or download:
Document Text |
---|
Filing 4 ORDER TO SHOW CAUSE by Judge Philip S. Gutierrez.IT IS ORDERED that Respondents appear before this District Court of the 26 United States for the Central District of California, at the following date, time, and address, to show cause why the testim ony and production of books, papers, records, and other data demanded in the subject IRS summonses should not be compelled....IT IS FURTHER ORDERED that copies of the following documents be on Respondents (a) by personal delivery, (b) by leaving a copy at Respondents' 17 dwelling or usual place of abode with someone of suitable age and discretion who resides there, or (c) by certified mail: 1. This Order; and 2. The Petition, Memorandum of Points and Authorities, and accompanying Decl aration. Service may be made by any employee of the IRS or the United States Attorney's Office....... Show Cause Hearing set for 3/24/2014 at 01:30 PM before Judge Philip S. Gutierrez, Courtroom 880, Roybal Federal Building and United States Courthouse255 E. Temple Street, Los Angeles, California, 90012. (PLEASE REVIEW DOCUMENT FOR FULL AND COMPLETE DETAILS) (lw) |
Use the links below to access additional information about this case on the US Court's PACER system. A subscription to PACER is required.
Access this case on the California Central District Court's Electronic Court Filings (ECF) System
- Search for Party Aliases
- Associated Cases
- Attorneys
- Case File Location
- Case Summary
- Docket Report
- History/Documents
- Parties
- Related Transactions
- Check Status
Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.