No. 20-1557

Davendra Anand v. Commissioner of Internal Revenue

Lower Court: Second Circuit
Docketed: 2021-05-10
Status: Denied
Type: Paid
Response Waived
Tags: civil-procedure federal-courts international-law jurisdiction lower-courts treaties
Key Terms:
SocialSecurity Securities Immigration
Latest Conference: 2021-06-10
Question Presented (from Petition)

Since both lower Courts ruled NO JURISDICTION over Treaties
[Appendices A & C] - Will the Justices be bold to grant review, examine
the wider implications of the fundamental TEXTUAL-faults in the
USAJndia-DTAA Treaty[Appendix-D], and also - take the necessary
action to get the TEXTUAL-faults of the DTAA fixed, since it takes at
least 67 Senators to amend the Treaty ?

Since both lower Courts Ignored the Precedent Law and Dismissed the
Inheritance tax case of Mary Estelle Curran[Appendix-E] - What
recourse does the have to get the Full
Refund of $229,568.99[Appendix-G], as a Fair Remedy for his InheritedIndia-Property tax case?

Question Presented (AI Summary)

Whether the lower courts erred in ruling they lacked jurisdiction over claims arising under treaties

Docket Entries

2021-06-14
Petition DENIED.
2021-05-25
DISTRIBUTED for Conference of 6/10/2021.
2021-05-19
Waiver of right of respondent CIR to respond filed.
2021-05-03
Petition for a writ of certiorari filed. (Response due June 9, 2021)

Attorneys

CIR
Elizabeth B. PrelogarActing Solicitor General, Respondent
Davendra Anand
Davendra Anand — Petitioner