Are you kidding?
You really think the IRS - faced a real possibility of having the court return such a verdict - would allow the case to get to the courts? I think that's the whole point here. The alleged reason that they didn't pursue Mr. Lawrence isn't any further than they did, is because - again allegedly - they faced that possibility.
Too, in all the time that has passed between then and now, the IRS has made no attempt to address the issue on their site, despite not only being aware of the issue, but also despite having already addressed a similar - but again different - issue.
I don't claim to be an expert; but I've read the applicable portion of the PRA, and it says, in plain English, what Robert Lawrence claims it says. Although, I'm aware that the courts have a long history of twisting language to mean other than it was originally intended, I fail to see how they could do so in this case.
I'll grant that there may be something that both I, and Mr. Lawrence, missed - which would make him totally wrong on the subject - but if so, surely the IRS knows about it? And if so, what reason could they possibly have for not confronting him with it?
Originally posted by Bees Knees
Too, in all the time that has passed between then and now, the IRS has made no attempt to address the issue on their site, despite not only being aware of the issue, but also despite having already addressed a similar - but again different - issue.
I don't claim to be an expert; but I've read the applicable portion of the PRA, and it says, in plain English, what Robert Lawrence claims it says. Although, I'm aware that the courts have a long history of twisting language to mean other than it was originally intended, I fail to see how they could do so in this case.
I'll grant that there may be something that both I, and Mr. Lawrence, missed - which would make him totally wrong on the subject - but if so, surely the IRS knows about it? And if so, what reason could they possibly have for not confronting him with it?
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