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TonyJoe1957

12/09/18 7:44 AM

#59353 RE: Gm1850 #59351

Dunno. IRS is an administrative agency with deadlines and penalties for failure to meet deadlines, so, I guess if the IRS imposes a late filing penalty, you can sue them in the Supreme Court to get the penalty waived. Not sure about the interest. In the latter case, our comparable is royalties. Just throw as much mud on the wall as possible, and hope some of it sticks. AJ
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khenry458

12/09/18 9:17 AM

#59354 RE: Gm1850 #59351

It looks like the last paragraph applies to us and the rest is using Weyerhauser case to argue why Arris feels the court has jurisdiction to hear this case.
We argued that the case be dropped in document 27(III. CONCLUSION
For the reasons set forth above, ChanBond asks the Court to dismiss these appeals for lack of jurisdiction.).
That was my understanding of this letter. We'll have to wait on the reply to see how this argument from Arris(doc 34) holds up.