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Form 8867 for Raleigh North Carolina: What You Should Know
W-2); tax ID # 13278940). As of the date of this order, the United States District Court, Eastern District of North Carolina is accepting comments on the proposed order of the United States Court of Appeals for the Fourth Circuit (Case 5:07-cv-00125-FL), pursuant to Federal Rules of Civil Procedure Rule 55(e) and Federal Rule of Civil Procedure 52(a). The proposed order of the court should be filed within 60 days after the filing of this petition. Comments regarding this matter should be directed to the clerk of the court. Any oral presentations, oral arguments, briefings, oral filings, oral argument scheduling, or other administrative matters related to the cases described above, shall be governed by the internal and/or public rules of the district court, the Southern District of North Carolina, or such other rules and procedures as may be provided in this court's order. If the court deems it appropriate, a conference may be requested. Case 5:07-cv-00125-FL Document 1-1 Filed 04/02/2007-Page Page 1 of 6 AFFIRMED IN PART, REVERSED IN PART, AND REMANDED WITH DIRECTION TO CONTINUE CASE. WOMEN'S RIGHTS SECTION OF UNITED STATES COOPERATIVE AGENCY U.S. Department of Justice Washington, D.C. 20530 Attorneys Fees Awards and Costs I. Background This petition is brought on behalf of two women who are eligible for an award of attorney's fees against the United States. The women were employees of the United States with the IRS. A. Plaintiff's Case In October 2003, I.R.C. § 26, as amended by § 30, was added as part of the Taxpayer Relief Act of 1997. The statute prohibits the imposition of penalties, including assessments, on a taxpayer who “engages in any form of communication with another person, with the intent of influencing that person's actions in connection with the filing of a return, unless the taxpayer indicates that, at the time of the communication, he desires this to occur” and “a communication is otherwise not required.” 29 U.S.C. § 6012(a).
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