United States of America v. Wroblewski et al
United States of America |
California Franchise Tax Board, Gerald J. Wroblewski and Sharon M. Wroblewski |
3:2007cv00081 |
January 11, 2007 |
US District Court for the Southern District of California |
San Diego Office |
San Diego |
William McCurine |
Barry Ted Moskowitz |
Taxes |
26 U.S.C. ยง 7403 Suit to Enforce Federal Tax Lien |
None |
Available Case Documents
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Document Text |
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Filing 65 ORDER Granting In Part and Denying In Part 57 Motion for Summary Judgment. The United States' Motion for Summary Judgment is granted as to the first, second, and third claims for relief (to reduce assessments to judgment) and is denied as to t he fourth claim for relief (to foreclose federal tax liens). It is unclear to the Court whether the United States requests that the Court declare the validity and amount of its liens independent of the foreclosure claim. If the United States requests such relief, the United States shall, within 30 days of this Order, file papers indicating as such and explaining why such relief is necessary. Signed by Judge Barry Ted Moskowitz on 1/16/09. (vet) |
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