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Donald Gless v. USA/IRS (In re Gless), Ch. 7, BK92-82102, A93-8036 (Oct. 22, 1993)

Issue exists as to whether debtor signed a document from which the IRS calculated his taxes. The dischargeability of debtor's tax liability under 11 U.S.C. section 523(a)(1)(B)(i) depends upon whether the document constitutes a "substitute return."

Date: 
Friday, October 22, 1993
Judge: 
Judge Timothy J. Mahoney (Retired)