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In re Whall

In re Whall

Ruling
Chapter 13 debtor could not pay postpetition state income taxes as administrative expense.
Procedural posture

Debtor filed a petition under chapter 13 of the Bankruptcy Code, and an amended plan for repaying his creditors. The Massachusetts Department of Revenue (MDOR) filed an objection to the debtor's fourth amended plan because the debtor proposed to pay postpetition taxes he accrued as an administrative expense of his bankruptcy estate.

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Consumer opinion summary, case decided on May 28, 2008 , LexisNexis #0808-010