This article will examine what the answer depends on: The kinds of tax liabilities individual debtors are typically burdened with upon entering the bankruptcy process and the extent to which these prepetition debts are dischargeable or nondischargeable in bankruptcy. The kinds of tax claims discussed in this article are unsecured tax claims. Accordingly, if a tax claim is secured by a lien against the debtor\u27s property the following discussion would not be relevant
The United States is awash in a sea of debt. In the midst of the most severe recession since the Gre...
(Excerpt) The United States tax system allows married couples to file joint tax returns. For those m...
This article considers the question: Is a transfer of property via a noncollusive, properly conducte...
This article will examine what the answer depends on: The kinds of tax liabilities individual debtor...
This article will discuss the rules of bankruptcy law that are most relevant to the treatment of pre...
When a debtor goes bankrupt and limited assets have to be divided between competing creditors, shoul...
The bankruptcy code has been used, with varying degrees of success, to mitigate debtor obligations f...
This Article attempts to resolve one such issue: the tax consequences of property abandonments by th...
Section 523(a)(2)(A) of the Bankruptcy Code provides that a debt is nondischargeable if it is obtain...
In the last issue, we examined the income tax consequences of transfers of property to creditors in ...
Excerpt: “How do the debt discharge rules work if the taxpayer is an S corporation…? Does the debt d...
n this article the authors discuss the tax consequences and ramifications of two changes to the Bank...
Imagine you are a company with a failing business that is drowning in debt. On the bright side, you ...
The most current version of the Bankruptcy Code, the Bankruptcy Abuse Prevention and Consumer Protec...
This issue\u27s lead article is concerned with the provisions of the recent Bankruptcy Tax Act which...
The United States is awash in a sea of debt. In the midst of the most severe recession since the Gre...
(Excerpt) The United States tax system allows married couples to file joint tax returns. For those m...
This article considers the question: Is a transfer of property via a noncollusive, properly conducte...
This article will examine what the answer depends on: The kinds of tax liabilities individual debtor...
This article will discuss the rules of bankruptcy law that are most relevant to the treatment of pre...
When a debtor goes bankrupt and limited assets have to be divided between competing creditors, shoul...
The bankruptcy code has been used, with varying degrees of success, to mitigate debtor obligations f...
This Article attempts to resolve one such issue: the tax consequences of property abandonments by th...
Section 523(a)(2)(A) of the Bankruptcy Code provides that a debt is nondischargeable if it is obtain...
In the last issue, we examined the income tax consequences of transfers of property to creditors in ...
Excerpt: “How do the debt discharge rules work if the taxpayer is an S corporation…? Does the debt d...
n this article the authors discuss the tax consequences and ramifications of two changes to the Bank...
Imagine you are a company with a failing business that is drowning in debt. On the bright side, you ...
The most current version of the Bankruptcy Code, the Bankruptcy Abuse Prevention and Consumer Protec...
This issue\u27s lead article is concerned with the provisions of the recent Bankruptcy Tax Act which...
The United States is awash in a sea of debt. In the midst of the most severe recession since the Gre...
(Excerpt) The United States tax system allows married couples to file joint tax returns. For those m...
This article considers the question: Is a transfer of property via a noncollusive, properly conducte...