reopen to determine tax liability dischargeability
Hello:
Haven't researched this in a while. Chapter 7 debtor filed, discharge
granted, taxes listed, case closed.
Irs later claim debtor attempted to evade or defeat tax, refused to
abate.
Old rule the debtor had another remedy (pay tax and sue for a refund)
and motions to reopen denied to determine taxes. Anyone know if this
is still the rule?
dennis
The post was migrated from Yahoo.