Kowalczyk, In re
Apr
17
2019
Ruling
Creditor's request to determine debtor's tax liability denied since the dispute was between theIRS and debtor or the estate. (Bankr. D.N.D.)
Issue(s)
Determination of Tax Liability; The Role Of The Court.
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Judge or Jurisdiction information not available
- 11 U.S.C.
Jung, In re
Feb
21
2019
Ruling
Court had jurisdiction to determine and discharge debtor's tax liability and penalties. (Bankr.W.D. Wis.)
Issue(s)
Determination of Tax Liability.
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Court
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- 11 U.S.C.
La Paloma Generating, Co., In re
Jul
25
2018
Ruling
Tax dispute was dismissed because of California State Board of Equalization's immunityfrom suit in federal court as established by the Eleventh Amendment. (Bankr. D. Del.)
Issue(s)
Determination of Tax Liability.
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Court
:
- 11 U.S.C.
Donaldson, In re
Jul
02
2018
Ruling
Bankruptcy court does not have jurisdiction to determine a non-debtor's tax liability. (Bankr. N.D. Miss.)
Issue(s)
Determination of Tax Liability; The Role Of The Court; Bankruptcy Court.
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Ryckman Creek Res., LLC, In re
Apr
10
2017
Ruling
Debtors' claim for reevaluation of 2015 ad valorem taxes denied as the applicable Wyomingstatutes indicated that the period for contesting the 2015 Assessment has already expired.(Bankr. D. Del.)
Issue(s)
Determination of Tax Liability; The Role Of The Court.
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Court
:
- 11 U.S.C.
Mahon, In re--Mahon v. IRS
Feb
14
2017
Ruling
Bankruptcy court was not prohibited from adjudicating IRS's Overpayment Count as theclaim did not require the court to determine a tax, a fine or penalty, or an addition to tax.(Bankr. D. Mass.)
Issue(s)
Determination of Tax Liability; The Role Of The Court; Bankruptcy Court.
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Court
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- 11 U.S.C.
Watson v. Mississippi Dep't of Revenue (In re Watson)
Aug
31
2016
Ruling
Debtor could not obtain redetermination of taxes owed by company for which debtor wasresponsible person. (Bankr. S.D. Miss.)
Issue(s)
Should debtor’s proceeding for redetermination of tax debt be dismissed?
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Court
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- 11 U.S.C.
In re Wyly
May
10
2016
Ruling
Tax liability was to be determined pursuant to findings that debtor and brother committed tax fraud but the brother's widow, also a debtor, did not.
Issue(s)
Although there were numerous other issues (as was obvious from the court's more than 400-page opinion), the heart of debtors' motion and amended motion under 11 U.S.C.S. § 505 to determine tax liability, if any, largely boiled down to the court answering two questions
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- 11 U.S.C.
Total Fin. Inv., Inc., In re
Jul
31
2015
Ruling
Debtor and non-debtor were entitled to sales tax credits with respect to all applications forcredit memos at least 120 days before the date of entry of the final order on the motion seekingdetermination under 11 U.S.C. § 505(a). (Bankr. N.D. Ill.)
Issue(s)
Determination of Tax Liability.
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- 11 U.S.C.
L Harris Constr. Co. v. Mississippi Dept of Revenue (In re L Harris Constr. Co.)
Apr
09
2015
Ruling
Bankruptcy court could not determine debtor's taxes following final administrative adjudication.
Issue(s)
Was debtor entitled to a determination of tax debt by the bankruptcy court despite prior administrative determination?
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