IRS-Third Party Cases
United States of America v. John Does
as 2:2022cv05715
In Re: In the Matter of the Tax Liabilities of John Does
Petitioner: United States of America
Respondent: John Does United States persons, who directly or indirectly had authority over any combination of accounts held with OX Labs Inc., SFOX Inc., sfox.com, or its predecessors, subsidiaries, divisions, or affiliates collectively, SFOX, with at least the
United States of America v. John Does
as 2:2022mc00150
In Re: In the Matter of the Tax Liabilities of John Does
Petitioner: UNITED STATES OF AMERICA
Respondent: John Does United States persons, who directly or indirectly had authority over any combination of accounts held with OX Labs Inc., SFOX Inc., sfox.com, or its predecessors, subsidiaries, divisions, or affiliates collectively, SFOX, with at least the
USA v. In Re: Tax Liabilities
as 1:2021cv01221
In Re: Tax Liabilities
Petitioner: USA
Cause Of Action: 26 U.S.C. § 7609
In the Matter of the Tax Liabilities of John Does We have downloadable decisions or orders for this case
as 3:2021cv02201
In Re: In the Matter of the Tax Liabilities of John Does
Petitioner: United States of America
Cause Of Action: 28 U.S.C. § 1331
John Ramirez v. USA, et al We have downloadable decisions or orders for this case
as 13-56088
Petitioner - Appellant: JOHN B. RAMIREZ, (As the person (last shareholder responsible for the assets and liabilities of the dissolved corporation Pro Business Coach, Inc.)
Respondent - Appellee: UNITED STATES OF AMERICA, BETH E. STROUD, ISABEL CORNEJO and others
United States of America v. In the Matter of Tax Liabilities of: John Does Featured Case We have downloadable decisions or orders for this case
as 5:2005cv04167
Plaintiff: United States of America, United States of America and United States of America
Defendant: In the Matter of Tax Liabilities of: John Does
Cause Of Action: 26 U.S.C. § 7609 IRS: Petition to Quash IRS Summons

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