IN RE OLDFIELD

Bankruptcy No. 89-41501 S, Adv. No. 90-4032.

121 B.R. 249 (1990)

In re William and Mattie OLDFIELD. William and Mattie OLDFIELD, Plaintiffs, v. UNITED STATES of America, INTERNAL REVENUE SERVICE, Defendant.

United States Bankruptcy Court, E.D. Arkansas, Little Rock Division.

October 22, 1990.


Attorney(s) appearing for the Case

Mark Colbert, Davidson Law Firm, Ltd., Little Rock, Ark., for debtors.

Kimberly Forseth, Office of Special Litigation, Tax Div., U.S. Dept. of Justice, Washington, D.C., for I.R.S.

Richard L. Smith, Little Rock, Ark., Trustee.


MEMORANDUM OPINION

MARY D. SCOTT, Bankruptcy Judge.

Now before the Court is an adversary proceeding, wherein the debtors/Plaintiffs, William and Mattie Oldfield ("Oldfields"), have requested that this Court declare their income tax debts for 1980, 1981 and 1983 to be discharged in their Chapter 7 case. The Defendant, Internal Revenue Service ("IRS"), contends that the Plaintiffs' tax debts for the 1980, 1981 and 1983 tax years are non-dischargeable.

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