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Weaver Potato Chip Co., Ch. 11, BK96-41363 (June 12, 2003)

IRS was entitled to interest on deferred payments on its claim, pursuant to Section 1129(a)(9)(C). The plan provision disallowing interest on tax claims dealt only with post-petition, pre-confirmation interest, and not with the issue of present value.

Date: 
Thursday, June 12, 2003
Judge: 
Judge Timothy J. Mahoney (Retired)