Reported at 179 B.R. 646. The court ruled that the debtor's tax liability was dischargeable under 11 U.S.C. section 523(a) (1) (B) (i) because he had signed and delivered to the IRS a document "equivalent to" a tax return for the tax years in question.
Date:
Friday, February 10, 1995
Judge:
Judge Timothy J. Mahoney (Retired)