Testo completo
CLD-175 NOT PRECEDENTIAL
UNITED STATES COURT OF APPEALS
FOR THE THIRD CIRCUIT
___________
No. 26-1723
___________
IN RE: FUHAI LI,
Petitioner
____________________________________
On a Petition for Writ of Mandamus to the
United States Tax Court
(Related to Tax Ct. No. 12133-23)
____________________________________
Submitted Pursuant to Rule 21, Fed. R. App. P.
July 30, 2026
Before: BIBAS, PHIPPS, and NYGAARD, Circuit Judges
(Opinion filed: August 18, 2026)
_________
OPINION*
_________
PER CURIAM
Fuhai Li filed a pro se petition for a writ of mandamus asking us to direct the
United States Tax Court to rule on his motion for summary judgment. Thereafter, on
May 29, 2026, the Tax Court denied Li’s motion for summary judgment. In view of that
decision, this mandamus petition no longer presents a live controversy. Therefore, we
* This disposition is not an opinion of the full Court and pursuant to I.O.P. 5.7 does not
constitute binding precedent.
-- 1 of 2 --
2
will dismiss it as moot. See Blanciak v. Allegheny Ludlum Corp., 77 F.3d 690, 698–99
(3d Cir. 1996).
-- 2 of 2 --