United States of America Julie Lund, Revenue Officer of the Internal Revenue Service v. Leonard Saye
Opinion
Opinion
60 F.3d 835 76 A.F.T.R.2d 95 -5733 NOTICE: Ninth Circuit Rule 36-3 provides that dispositions other than opinions or orders designated for publication are not precedential and should not be cited except when relevant under the doctrines of law of the case, res judicata, or collateral estoppel. UNITED STATES of America; Julie Lund, Revenue Officer of the Internal Revenue Service, Plaintiffs-Appellees, v. Leonard SAYE, Defendant-Appellant. No. 94-17041. United States Court of Appeals, Ninth Circuit. Submitted June 26, 1995. * Decided June 30, 1995. 1 Before: O'SCANNLAIN, LEAVY, and HAWKINS Circuit Judges. 2 MEMORANDUM ** 3 Leonard Saye appeals pro se the district court's order enforcing an Internal Revenue Service summons seeking information regarding Saye's tax liabilities for his 1978, 1979, 1980, and 1983 tax years. We dismiss this portion of his appeal for lack of jurisdiction. Saye also appeals the district court's denial of his (1) motion for reconsideration, (2) motion for clarification of the district court's denial of his motion for reconsideration, and (3) request for a jury trial. We have jurisdiction pursuant to 28 U.S.C. Sec. 1291 , and we affirm. A. Jurisdiction 4 We…