Randolph Frodsham v. Cir ( 2010 )


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  •                                                                           FILED
    NOT FOR PUBLICATION                            DEC 27 2010
    MOLLY C. DWYER, CLERK
    UNITED STATES COURT OF APPEALS                     U .S. C O U R T O F AP PE ALS
    FOR THE NINTH CIRCUIT
    RANDOLPH FRODSHAM,                               No. 09-70220
    Petitioner - Appellant,           Tax Ct. No. 13980-07L
    v.
    MEMORANDUM *
    COMMISSIONER OF INTERNAL
    REVENUE,
    Respondent - Appellee.
    Appeal from a Decision of the
    United States Tax Court
    Submitted December 14, 2010 **
    Before:        GOODWIN, WALLACE, and W. FLETCHER, Circuit Judges.
    Randolph Frodsham appeals pro se from the tax court’s order dismissing for
    failure to prosecute his petition contesting the Commissioner’s issuance of a Notice
    of Determination sustaining a tax lien against him to collect purported income tax
    liabilities for tax years 2003 and 2004. We have jurisdiction under 26 U.S.C.
    *
    This disposition is not appropriate for publication and is not precedent
    except as provided by 9th Cir. R. 36-3.
    **
    The panel unanimously concludes this case is suitable for decision
    without oral argument. See Fed. R. App. P. 34(a)(2).
    § 7482(a)(1). We review for an abuse of discretion. Edelson v. Comm’r, 
    829 F.2d 828
    , 831 (9th Cir. 1987). We affirm.
    The tax court did not abuse its discretion by dismissing Frodsham’s petition
    for failure to prosecute because Frodsham failed to appear for trial and provided no
    legitimate excuse for his failure to appear. See 
    id. (holding that
    the tax court did
    not abuse its discretion by dismissing the taxpayers’ petitions for failure to
    prosecute where the taxpayers had, among other things, failed to appear for trial).
    Frodsham’s remaining contentions are unpersuasive.
    AFFIRMED.
    2                                     09-70220
    

Document Info

Docket Number: 09-70220

Filed Date: 12/27/2010

Precedential Status: Non-Precedential

Modified Date: 4/18/2021