Hosack v. IRS (In re Hosack)

Pre 2005-Act: 
Pre 2005-Act
Tax debt based on income not assessed prepetition but assessable postpetition was nondischargeable.
Procedural posture: 
Defendant United States filed a motion for summary judgment in a post- discharge adversary proceeding brought by chapter 7 debtor against the IRS, alleging that certain debts that the IRS viewed as still owing by debtor had been discharged.
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