- 11 U.S.C.
United States v. Mixon (In re Mixon)
May
13
2008
Ruling
Tax debt was nondischargeable due to debtor's willful evasion attempts.
Procedural posture
Plaintiff U.S. brought a complaint against defendant chapter 7 debtors, seeking a determination that the debtors were indebted to the Internal Revenue Service (IRS) for unpaid federal income taxes, to recover the debt from the debtors, along with interest, and a determination that the debt was excepted from discharge pursuant to 11 U.S.C.S. § 523(a)(1)(C) because the debtors had willfully attempted in any manner to evade or defeat such tax.
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Court
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