ACME Music Co. v. Internal Revenue Service (In re ACME Music Co.)
United States Bankruptcy Court, W.D. Pennsylvania
1Opinion of the Court
MEMORANDUM OPINION
M. BRUCE McCULLOUGH, Bankruptcy Judge.
ACME Music Company, Inc. (ACME) commenced the above-captioned adversary proceeding so that this Court, pursuant to 11 U.S.C. § 505(a)(1), could determine both the amount and/or legality of taxes assessed by the Internal Revenue Service (IRS). Pursuant to an opinion and order of this Court dated June 7, 1996, ACME Music Company, Inc. v. Internal Revenue Service, 196 B.R. 925 (Bankr.W.D.Pa.1996), as well as a further order dated December 19, 1996, approving settlement of residual issues, this Court determined that ACME was not liable for…
2Cases cited13 opinions
- Pierce v. UnderwoodSupreme Court of the United States · 1988
- Clair S. Huffman v. Commissioner Of Internal RevenueCourt of Appeals for the Ninth Circuit · 1992
- Sher v. CommissionerUnited States Tax Court · 1987
- Leopold Z. Sher and Karen B. Sher v. Commissioner of Internal RevenueCourt of Appeals for the Fifth Circuit · 1988
- Nalle v. CommissionerCourt of Appeals for the Fifth Circuit · 1995
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3Cited by3 opinions
- Range v. United StatesDistrict Court, S.D. Texas · 1999
- Worthan v. Comm'rUnited States Tax Court · 2012
- Paz v. Comm'rUnited States Tax Court · 2002