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Originally Posted by Shoonra
US Tax Court is an Article I court, established in 1924. Ordinarily the taxpayer (individual or corporation) is the petitioner (the plaintiff) seeking a refund, exemption or some similar break from the IRS. By not following through on a case, the taxpayer loses his chance for a decision in his favor.
On the other hand, when the IRS is trying to pry money loose from someone who refuses to pay, that is usually in a district court, an Article III court capable of imposing not only judgments and fines, but even prison sentences.
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Nope. Not Article III. Article II at best. Read Rule 45.1 of the Supreme Court Rules and Notice the gold fringed flags - Executive.
http://supct.law.cornell.edu/donors/...upct/Rules.pdf
Also consider this: Any Article III judge cannot have his salary diminished during the term of office. How many of the USDC
judges are Taxpayers?
However none can effect the entitlement to redeem Federal Reserve Bank notes - like the Ninth Circuit justices agreed in 1974.
http://friends-n-family-research.inf...ublicMoney.wmv
http://friends-n-family-research.inf...ney_case_1.jpg
http://friends-n-family-research.inf...ney_case_2.jpg