UNITED STATES DISTRICT COURT
                                                                     MIDDLE DISTRICT OF FLORIDA 
                                                                          ORLANDO DIVISION 

UNITED STATES OF AMERICA, 

                 Petitioner, 

vs.                                                                     Case No. 6:08-mc-2XXX

TOM PATRIOT, 

                 Respondent.                                            MOTION FOR POSTPONEMENT 
                                                                        OF SEPTEMBER 26, 2008 IRS MEETING 
 

The Respondent asks the Court for a POSTPONEMENT OF SEPTEMBER 26, 2008 IRS MEETING that was ordered on September 15, 2008 by Judge Presnell.

1. The Respondent has a prior commitment on September 26, 2008 that he has not been able to reschedule. I am an anesthetist of thirty-five years experience. The doctors that I work for schedule cases several weeks in advance. With less than ten days to reschedule (I received your order on September 17, 2008), it is a virtual impossibility to reschedule these patients. With the shortage of anesthetists, the possibility of replacing me has been exhausted. I have a full day scheduled in the operating room. I can reschedule the easiest on a Monday except for September 29, 2008.

2. There is an OPPOSITION TO MOTION TO ENFORCE SUMMONS before the Court that has not been answered. I feel that this document needs to be answered with the opposing counsel having his time to respond. The motion that resulted in the order to schedule the IRS was only filed four days before this order was given. The Respondent did not have enough time to respond to the opposing counsel's motion.

3. There is a MOTION TO VACATE JUDGMENT before the Court that has not been answered. This document also needs to be answered with the opposing counsel having opportunity with a response. This motion concerns the time element that should be present so that the opposing can respond.

I hereby certify that on or about the date listed below a copy of this document was mailed to the opposing attorney with sufficient postage to insure delivery.

Date: September , 2008

___________________________
Respondent, pro se
St. Cloud, Florida 34772