USA v. Michael Clarke, et al

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Case overview

Case Number:

15-11663

Court:

Appellate - 11th Circuit

Nature of Suit:

1870 Tax Suits

  1. July 11, 2016

    Taxpayers Say High Court Can Review IRS Summons Row

    Several taxpayers doubled down on their bid to halt the Eleventh Circuit's orders to obey IRS summonses while the group seeks U.S. Supreme Court review, saying Monday the review is warranted.

  2. July 06, 2016

    Gov't Says No Stay Needed In IRS Summons Suit

    The federal government urged the Eleventh Circuit Tuesday to deny taxpayers' bid to stay the panel's ruling against them in their fight to show the IRS issued summonses in bad faith, arguing the plaintiffs are unlikely to sway the U.S. Supreme Court to their side.

  3. June 30, 2016

    Taxpayers Fighting IRS Summonses Again Look To High Court

    Taxpayers fighting to show the IRS issued summonses in bad faith told the Eleventh Circuit on Wednesday they're looking to once again take their case to the U.S. Supreme Court, saying an affirmed district court decision didn't take into account the high court's previous ruling.

  4. June 21, 2016

    11th Circ. Won't Rehear Taxpayers' IRS Summons Dispute

    The Eleventh Circuit on Tuesday declined to reconsider a request for an evidentiary hearing and enforcement of IRS summonses in consolidated challenges claiming the government issued the summonses in bad faith, denying taxpayers' bid to submit new evidence in light of a new standard set out by the U.S. Supreme Court.

  5. April 29, 2016

    Taxpayers Press 11th Circ. To Rehear IRS Summons Dispute

    The Eleventh Circuit should reconsider a request for an evidentiary hearing and enforcement of IRS summonses in consolidated challenges claiming the government issued the summonses in bad faith, taxpayers argued Thursday, asking to submit new evidence in light of a new standard set out by the U.S. Supreme Court.

  6. March 15, 2016

    Taxpayers Can't Clear Higher Hurdle In IRS Dispute: 11th Circ.

    The Eleventh Circuit on Tuesday upheld an order denying a request for an evidentiary hearing and enforcing IRS summonses in consolidated challenges by taxpayers claiming the government issued them in bad faith, applying a new standard the U.S. Supreme Court set out in an earlier round of proceedings.