IN RE COLEMAN

Bankruptcy No. 81-40599, Adv. No. 82-0029.

19 B.R. 529 (1982)

In re James Francis COLEMAN a/k/a James F. Coleman, Debtor. James Francis COLEMAN, Plaintiff, v. INTERNAL REVENUE SERVICE, Defendant.

United States Bankruptcy Court, D. Kansas.

April 16, 1982.


Attorney(s) appearing for the Case

Eileen Hiney, McDowell, Rice & Smith, Kansas City, Kan., for debtor.

Glenn R. Dawson, Trial Atty., Tax Div., Dept. of Justice, Washington, D.C., Karen M. Humphreys, Asst. U.S. Atty., Topeka, Kan., for I.R.S.

Lloyd C. Swartz, Topeka, Kan., Trustee.


ORDER

JAMES A. PUSATERI, Bankruptcy Judge.

The debtor filed a voluntary chapter 7 petition on August 10, 1981. The Internal Revenue Service (IRS) has a claim against the debtor for 100% penalty on corporate withholding taxes in the amount of $107,994.64. The penalty was assessed under 26 U.S.C. § 6672. On January 28, 1982 the debtor filed a complaint to determine the dischargeability of the 100% penalty debt owed to the IRS and on March 1, 1982 the...

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