Cases
Cases 1 - 10 of 157
Mill Road 36 Henry, LLC, et al v. Commissioner of Internal Revenue
as 24-11334
Petitioner: MILL ROAD 36 HENRY, LLC, MR36 MANAGER, LLC and TAX MATTERS PARTNER
Respondent: COMMISSIONER OF INTERNAL REVENUE
AD Global Fund, LLC v. US
as 24-1252
Plaintiff / Appellant: AD GLOBAL FUND, LLC, by and through NORTH HILLS HOLDING, INC., a Partner other than the Tax Matters Partner
Defendant / Appellee: UNITED STATES
Ryder Ranches, LLC, et al v. CIR
as 23-70102
Petitioner / Appellant: RYDER RANCHES, LLC, FKA Ryder Ranch Company, LLC and ERNEST S. RYDER, TAX MATTERS PARTNER
Respondent / Appellee: COMMISSIONER OF INTERNAL REVENUE
Chicago Baseball Holdings, LLC, et al v. CIR
as 23-1243
Petitioner / Appellant: CHICAGO BASEBALL HOLDINGS, LLC and NORTHSIDE ENTERTAINMENT HOLDINGS, LLC., formerly known as Ricketts Aquisition, LLC., Tax Matters Partner
Respondent / Appellee: COMMISSIONER OF INTERNAL REVENUE
Chicago Baseball Holdings, LLC, et al v. CIR
as 23-1136
Petitioner: CHICAGO BASEBALL HOLDINGS, LLC, NORTHSIDE ENTERTAINMENT HOLDINGS, LLC., formerly known as Ricketts Aquisition, LLC. and TAX MATTERS PARTNER
Respondent: COMMISSIONER OF INTERNAL REVENUE
VI Derivatives LLC by Vifx LLC its Tax Matters Par v. Director Virgin Islands Bureau of Internal Revenue
as 22-3056
Plaintiff / Appellant: VI DERIVATIVES LLC BY VIFX LLC ITS TAX MATTERS PARTNER BY RICHARD G. VENTO ITS TAX MATTERS PARTNER
Defendant / Appellee: DIRECTOR VIRGIN ISLANDS BUREAU OF INTERNAL REVENUE
Not Yet Classified: UNITED STATES OF AMERICA
Vifx LLC by Richard G Vento its Tax Matters Partne v. Director Virgin Islands Bureau of Internal Revenue
as 22-3057
Plaintiff / Appellant: VIFX LLC BY RICHARD G. VENTO ITS TAX MATTER PARTNER
Defendant / Appellee: DIRECTOR VIRGIN ISLANDS BUREAU OF INTERNAL REVENUE
Not Yet Classified: UNITED STATES OF AMERICA
Continuing Life Communities Thousand Oaks, LLC v. CIR
as 22-70225
Petitioner: CONTINUING LIFE COMMUNITIES THOUSAND OAKS, LLC, Spieker CLC, LLC, Tax Matters Partner
Respondent: COMMISSIONER OF INTERNAL REVENUE
Hoops, LP, Heisley Member, Inc., Tax Matters Partn v. CIR
as 22-2012
Petitioner / Appellant: HOOPS, LP, HEISLEY MEMBER, INC., TAX MATTERS PARTNER
Respondent / Appellee: COMMISSIONER OF INTERNAL REVENUE
901 South Broadway Limited Par, et al v. CIR
as 22-70012
Petitioner / Appellant: 901 SOUTH BROADWAY LIMITED PARTNERSHIP AND STANDARD DEVELOPMENT, LLC, TAX MATTERS PARTNER
Respondent / Appellee: COMMISSIONER OF INTERNAL REVENUE

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