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Dagostini v. Wisconsin Department of Revenue (In re Dagostini)

Ruling: 
State taxes for which debtor filed fraudulent return were nondischargeable.
Procedural posture: 
Debtor filed a complaint against Wisconsin Department of Revenue (Department) seeking a determination that his tax debt was discharged by virtue of a chapter 7 discharge. The Department answered, asserting that the debt was excepted from discharge pursuant to 11 U.S.C.S. § 523(a)(1)(C).
Issue: 
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Consumer case opionion summary, case decided on October 11,2012, LexisNexis #1112-048