Skip to content

Polselli v. Internal Revenue Service

Docket No. Op. Below Argument Opinion Vote Author Term
21-1599 6th Cir. Mar 29, 2023 May 18, 2023 9-0 Roberts OT 2022

Holding: When the Internal Revenue Service issues a summons pursuant to 26 U.S.C. " 7602(a) in aid of collecting a tax liability, the exception to the notice requirement in Section 7609(c)(2)(D)(i) applies even if the delinquent taxpayer has no legal interest in the accounts or records summoned.

Judgment: Affirmed, 9-0, in an opinion by Chief Justice Roberts on May 18, 2023. Justice Jackson filed a concurring opinion, in which Justice Gorsuch joined.

DateProceedings and Orders (key to color coding)
06/24/2022Petition for a writ of certiorari filed. (Response due July 28, 2022)
07/19/2022Motion to extend the time to file a response from July 28, 2022 to August 29, 2022, submitted to The Clerk.
07/20/2022Motion to extend the time to file a response is granted and the time is extended to and including August 29, 2022.
07/28/2022Brief amicus curiae of Center for Taxpayer Rights filed.
08/18/2022Motion to extend the time to file a response from August 29, 2022 to September 29, 2022, submitted to The Clerk.
08/19/2022Motion to extend the time to file a response is granted and the time is further extended to and including September 29, 2022.
09/21/2022Motion to extend the time to file a response from September 29, 2022 to October 27, 2022, submitted to The Clerk.
09/23/2022Motion to extend the time to file a response is granted and the time is further extended to and including October 27, 2022.
10/27/2022Brief of respondent Internal Revenue Service in opposition filed.
11/15/2022DISTRIBUTED for Conference of 12/2/2022.
11/15/2022Reply of petitioners Hanna Karcho Polselli, et al. filed. (Distributed)
12/05/2022DISTRIBUTED for Conference of 12/9/2022.
12/09/2022Petition GRANTED.
01/19/2023Motion to dispense with printing the joint appendix filed by petitioners Hanna Karcho Polselli, et al.
01/23/2023Brief of petitioners Hanna Karcho Polselli, et al. filed.
01/30/2023Brief amici curiae of Center for Taxpayer Rights, et al. filed.
01/30/2023Brief amicus curiae of The Chamber of Commerce of the United States of America filed.
01/30/2023Brief amicus curiae of National Taxpayers Union Foundation filed.
01/30/2023Brief amicus curiae of Institute for Justice filed.
01/30/2023Brief amici curiae of The Rutherford Institute and the Cato Institute filed.
01/31/2023SET FOR ARGUMENT on Wednesday, March 29, 2023.
02/03/2023Record requested from the U.S.C.A. for the Sixth Circuit.
02/03/2023All records from the USCA-6th Circuit were transmitted electronically and are available on PACER.
02/07/2023All records from the USDC-Eastern District of Michigan are available on PACER.
02/13/2023CIRCULATED
02/21/2023Motion to dispense with printing the joint appendix filed by petitioners GRANTED.
02/22/2023Brief of respondent United States Department of the Treasury--Internal Revenue Service filed. (Distributed)
03/17/2023Reply of petitioners Hanna Karcho Polselli, et al. filed. (Distributed)
03/29/2023Argued. For petitioners: Shay Dvoretzky, Washington, D. C. For respondent: Ephraim McDowell, Assistant to the Solicitor General, Department of Justice, Washington, D. C.
05/18/2023Adjudged to be AFFIRMED. Roberts, C. J., delivered the opinion for a unanimous Court. Jackson, J., filed a concurring opinion, in which Gorsuch, J., joined.
06/20/2023Judgment issued.