Canada v. United States IRS

Ruling: 
Debtor’s post-petition claim for attorney's fees he incurred fighting tax penalties was untimelyas the 30-day limitations period was not tolled. (5th Cir.)
Issue: 
Extension of Time; Commencement of Action by Trustee.
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Court: Judge or Jurisdiction information not available
Commercial case opionion summary, case decided on February 20,2020, LexisNexis #0420-003