https://www.ustaxcourt.gov/UstcDockInq/ ... ID=7658331
Mr. Hyatt spouted the usual TP rhetoric:
In imposing a $25,000 penalty under section 6673, the court noted that this was not Mr. Hyatt's first rodeo:Petitioner's submissions to the Court do not call any of these facts into question. The Petition merely asserts that there is no legal authority--statutory, regulatory, or otherwise--that authorizes the notice of deficiency, that "respondent fraudulently manipulated its internal systems", and that no regulation imposes a tax liability on wages. Petitioner also attached documents to the Petition identical to those he submitted with his CDP hearing request, repeating his objections to the prevailing financial system, his status as a citizen, and the Social Security system, and purporting to rescind his signature on all Forms 1040 that he had previously filed.
This Court has imposed section 6673 penalties on petitioner for maintaining similar frivolous positions in four prior cases: $5,000 in docket number 7221-07L; $7,500 in docket number 26157-08; $10,000 in docket number 8771-08L; and the maximum penalty of $25,000 in docket number 22711-09L. Petitioner has not been deterred. In this case he has yet again advanced frivolous arguments that serve no purpose other than to protest the tax system and delay collection of the tax he owes, and which waste both the Court's and respondent's resources. We will therefore once again impose on petitioner the maximum penalty of $25,000.