No. 25-6824

Ronald DiPietro v. United States

Lower Court: Sixth Circuit
Docketed: 2026-02-17
Status: Pending
Type: IFP
Response WaivedIFP
Tags: affirmative-act felony internal-revenue-code omission sixth-circuit tax-evasion
Latest Conference: 2026-03-20
Question Presented (from Petition)

Whether an affirmative act of evasion, as opposed to omission of information, is required to establish felony tax evasion under 26 U.S.C. § 7201?

Question Presented (AI Summary)

Whether an affirmative act of evasion, as opposed to omission of information, is required to establish felony tax evasion under 26 U.S.C. § 7201?

Docket Entries

2026-02-26
DISTRIBUTED for Conference of 3/20/2026.
2026-02-20
Waiver of United States of right to respond submitted.
2026-02-20
Waiver of right of respondent United States to respond filed.
2026-02-10
Petition for a writ of certiorari and motion for leave to proceed in forma pauperis filed. (Response due March 19, 2026)

Attorneys

Ronald DiPietro
Benton C. MartinFederal Community Defender, Petitioner
United States
D. John SauerSolicitor General, Respondent