- 11 U.S.C.
Casano v. IRS (In re Casano)
May
16
2012
Ruling
Taxes for which debtor failed to file return prior to IRS assessment were nondischargeable.
Procedural posture
Before the court was debtor's motion for summary judgment seeking a determination that federal income taxes due and owing to United States, for tax years ending December 31 of 2001 and 2002 were dischargeable pursuant to 11 U.S.C.S. § 523(a)(1)(B), the government's cross motion for summary judgment claiming that these taxes were excepted from discharge pursuant to § 523(a)(1)(B).
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Court
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