Docket Nexus — Federal court records.
Federal Tax / Statutory Actions Lawsuit

Lichtenstein v. United States

Federal Tax / Statutory Actions Terminated 05/15/1992 District Court, E.D. Michigan

Lichtenstein v. United States is a federal federal tax / statutory actions lawsuit filed on 05/23/1991 in the District Court, E.D. Michigan. The case was terminated on 05/15/1992.

Court
District Court, E.D. Michigan (E.D. Mich.)
Official Court Website →
Assigned judge
Nancy G. Edmunds · 3,433 cases in index
Docket number
2:91-cv-72480
Nature of suit
870 Tax suits
Federal tax disputes with the United States as a party.
Jurisdiction
Government defendant
Date filed
05/23/1991
Date terminated
05/15/1992

8,322 Federal Tax / Statutory Actions cases in this court are indexed here.

Parties

About Federal Tax / Statutory Actions Lawsuits

This group covers federal tax disputes and other statutory actions, including IRS-related suits and claims arising under various federal regulatory statutes.

Frequently Asked Questions

What is Lichtenstein v. United States?

Lichtenstein v. United States is a federal federal tax / statutory actions lawsuit filed on 05/23/1991 in the District Court, E.D. Michigan. The case was terminated on 05/15/1992. This group covers federal tax disputes and other statutory actions, including IRS-related suits and claims arising under various federal regulatory statutes.

What type of case is this?

It is classified as “Federal Tax / Statutory Actions” under the federal nature-of-suit system. This group covers federal tax disputes and other statutory actions, including IRS-related suits and claims arising under various federal regulatory statutes.

What court is the case in?

The case is in the District Court, E.D. Michigan, docket number 2:91-cv-72480.

When was the case filed?

Lichtenstein v. United States was filed on 05/23/1991. It was terminated on 05/15/1992.

Other Cases Involving These Parties

Related Federal Tax / Statutory Actions Cases

Source: public U.S. federal court record (docket 9394237).