No. 19-8534

Robert W. Johnson v. Performant Recovery, Inc., et al.

Lower Court: Ninth Circuit
Docketed: 2020-05-23
Status: Dismissed
Type: IFP
IFP
Tags: civil-procedure constitutional-rights due-process jurisdiction standing tax-assessment
Latest Conference: 2020-09-29
Question Presented (AI Summary)

Whether the Department of the Treasury had jurisdiction to assess taxes against the petitioner for IRS civil matters

Question Presented (OCR Extract)

No question identified. : Deus nent of Tayatin if Fingiice ; Division of the Treasury on June 27, 20l for IRS Tax civil iatters Pending 2. trellees did nat haye Turisdietion to alee pens oy petty APPellayt OY af ppellees aq IN Gccord to cul Naw Cordon 3. Was Apellant illegally taxed and rae ae of al hi delsts a Was Appel lage atto i hear tor debts owed by ie ei Sediciql Officials 2 + voli | "cht ses am “

Docket Entries

2020-10-05
The motion for leave to proceed in forma pauperis is denied, and the petition for a writ of certiorari is dismissed. See Rule 39.8.
2020-07-02
DISTRIBUTED for Conference of 9/29/2020.
2020-03-02
Petition for a writ of certiorari and motion for leave to proceed in forma pauperis filed. (Response due June 22, 2020)

Attorneys

Robert Johnson
Robert W. Johnson — Petitioner
Robert W. Johnson — Petitioner