Biggers v. Internal Revenue Service
District Court, M.D. Tennessee
1Opinion of the Court
MEMORANDUM OPINION
WAVERLY D. CRENSHAW, JR., UNITED STATES DISTRICT JUDGE
This is an appeal by Appellants James Robert Biggers (“Biggers” or the “Debtor”) and Pamela Lynette Biggers (together, the “Biggers” or the “Debtors”) from an order of the United States Bankruptcy Court for the Middle District of Tennessee (the “Bankruptcy Court”) granting summary judgment to the Internal Revenue Service (the “IRS”)1 and declaring their tax assessments for 2001, 2002 (with the exception of an overage), 2003, and 2004 as nondischargeable under 11 U.S.C. § 523(a)(1)(B)©.2 For the rea*591sons stated below, the…
2Cases cited27 opinions
- Celotex Corp. v. Catrett, Administratrix of the Estate of CatrettSupreme Court of the United States · 1986
- Marrama v. Citizens Bank of Mass.Supreme Court of the United States · 2007
- Beard v. Comm'rUnited States Tax Court · 1984
- Robert D. Beard v. Commissioner of Internal RevenueCourt of Appeals for the Sixth Circuit · 1986
- In Re William C. Hindenlang, Debtor. United States of America v. William C. HindenlangCourt of Appeals for the Sixth Circuit · 1999
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3Cited by2 opinions
- Bryan StarlingUnited States Bankruptcy Court, S.D. New York · 2020
- McGrew v. Internal Revenue Service (In re McGrew)United States Bankruptcy Court, N.D. Iowa · 2016