In re Shaw
Feb
20
2013
Ruling
Claim for postpetition taxes allowed as administrative expense claim.
Procedural posture
Chapter 11 debtors objected to the claim of the IRS for payment of unpaid taxes. The IRS filed a motion for payment of postpetition taxes as administrative expenses. The debtors asked the court to determine under 11 U.S.C.S. § 506(a) that no portion of the IRS's claim was secured.
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Court
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