Castleton v. Commissioner
Court of Appeals for the Ninth Circuit
1Opinion of the Court
MEMORANDUM**
Brandt N. Castleton appeals pro se from the Tax Court’s decision for the Commissioner of Internal Revenue, following a bench trial, upholding deficiencies for tax years 1998, 1999, and 2000. We have jurisdiction under 28 U.S.C. § 7482. On appeal, Castleton raises the following contentions: “Acts of Fraud, of actions taken without Jurisdiction, and Violation of enumerated protected individual rights by John T. Leahy III of IRS, in conspiracy with Catherine L. Campbell (Tax Court Bar # CC033), and by her complicit statements and actions, Judge L. Paige Marvel. (Title 42 USC sec…
2Cited by5 opinions
- Friedman v. Comm'rUnited States Tax Court · 2010
- Averyt v. Comm'rUnited States Tax Court · 2012
- DiDonato v. Comm'rUnited States Tax Court · 2011
- 310 Retail, LLC v. Comm'rUnited States Tax Court · 2017
- Godby v. Comm'rUnited States Tax Court · 2008