11982-16
09-25-2023
LONG LEAF PROPERTY HOLDINGS, LLC, LONG LEAF MANAGER, LLC, TAX MATTERS PARTNER, Petitioner, v. COMMISSIONER OF INTERNAL REVENUE, Respondent JAMES SHAW & TYSON RHAME, Intervenors
Albert G. Lauber Judge
ORDER
Albert G. Lauber Judge
This case is currently calendared for trial at a special session of the Court beginning Monday, February 19, 2024, in Atlanta, Georgia. By Order served July 14, 2023, we adopted a pre-trial schedule. On September 22, 2023, the parties submitted a Joint Motion to Modify Pretrial Scheduling Order, which the Court filed as a Motion to Modify Order, requesting that we extend several pre-trial deadlines.
Upon due consideration, it is
ORDERED that the parties' Motion to Modify Order, filed September 22, 2023, is granted. It is further
ORDERED that the pre-trial schedule set forth in the Court's Order served July 14, 2023, is modified as follows, but in all other respects remains in full force and effect:
Pretrial Scheduling Order | Previous Deadline | New Deadline |
The parties shall serve all interrogatories (Rule 71), requests for production of documents (Rule 72), and requests for admissions (Rule 90); | September 22, 2023 | October 3, 2023 |
The parties shall (1) provide responses to all interrogatories, requests for production of documents, and request for admissions; and (2) file any motions for continuance; | October 23, 2023 | November 3, 2023 |
The parties shall (1) exchange and file any motions for discovery (e.g., motions to compel production of documents, motions to re-view sufficiency of answers, etc.); (2) serve notice of any discovery depositions; and (3) file with the Court an electronic copy of the first stipulation of facts along with all included stipulated exhibits; | November 17, 2023 | December 1, 2023 |
The parties shall exchange and file (1) any responses to motions for continuance; and (2) any dispositive motions, including motions for summary judgment; and (3) any motions for taking discovery depositions; | December 8, 2023 | December 11, 2023 |
Unless otherwise indicated, all Rule references are to the Tax Court Rules of Practice and Procedure.