Shrenker v. United States (In Re Shrenker)
United States Bankruptcy Court, E.D. New York
1Opinion of the Court
MEMORANDUM AND ORDER DETERMINING DISCHARGEABILITY OF INCOME TAXES
JEROME FELLER, Bankruptcy Judge.
Samuel R. Shrenker (“Shrenker” or the “Debtor”), Chapter 7 debtor herein, seeks to discharge his income tax liabilities for tax year- 1991 in the amount of $35,957.00 under Bankruptcy Code Section 727. The United States objects to this discharge and contends that Shrenker falls under the exception to discharge provision in Bankruptcy Code Section 523(a)(1)(B), which prohibits the discharge of taxes for which a debtor did not file a return. Specifically, the United States argues that Shrenker filed…
2Cases cited13 opinions
- Adickes v. S. H. Kress & Co.Supreme Court of the United States · 1970
- Zellerbach Paper Co. v. HelveringSupreme Court of the United States · 1934
- Germantown Trust Co. v. CommissionerSupreme Court of the United States · 1940
- In Re William C. Hindenlang, Debtor. United States of America v. William C. HindenlangCourt of Appeals for the Sixth Circuit · 1999
- United States v. Nunez (In Re Nunez)United States Bankruptcy Appellate Panel for the Ninth Circuit · 1999
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3Cited by3 opinions
- Casano v. Internal Revenue Service (In re Casano)United States Bankruptcy Court, E.D. New York · 2012
- Walsh v. United States (In Re Walsh)United States Bankruptcy Court, D. Minnesota · 2001
- Izzo v. United States (In Re Izzo)United States Bankruptcy Court, E.D. Michigan · 2002