US TAX COURT 
                                     
Philip J.                                ) 
            Petitioner,                  )
                                         )   DOCKET# 168xxx
   v.                                    )
                                         )
 Commissioner Internal Revenue           )   Motion for Production of
            Respondent                   )   Documents and Things
_________________________________________)

Under Tax Court Rule 70 and 72 Requester requests that Respondent comply with this request for production of documents and things, within thirty (30) days’ of the service of this request or within such shorter time as the Court may allow. Taxpayer mailed a letter on Sept 24, 2009 to District Counsel as an informal Request for Production of Documents, copy attached as exhibit A. Respondent has not responded with any sufficient documents, even though they clearly and definitely have many documents responsive to this request.

I am requesting that you furnish me with the following information :

Please send me all of your copies of the below listed documents.

1. Copies of all authenticated, non-hearsay wage statements, W-2’s, W-4’s, 1099’s, etc.

2. Copies of all authenticated, 1099’s of all forms which show miscellaneous payments or any other payments to me that the IRS classifies as income which are authenticated and not classified as hearsay.

3. In addition, please provide the following documents and evidence:

a. All documents that show that the deficiency made in the notice of deficiency is correct, accurate, and

b. all documents you intend to use at trial.

c. All documents that I submitted in this case the IRS considers frivolous and groundless

d. All documents that provide a link between the notice of deficiency and the alleged income-producing activities.

e. All written declarations of custodians or other qualified persons in connection with any documents or things.