FOUTZ v. U.S.

No. 94-4169.

72 F.3d 802 (1995)

Liane B. FOUTZ, Plaintiff-Appellant, v. UNITED STATES of America, Defendant-Appellee.

United States Court of Appeals, Tenth Circuit.

December 18, 1995.


Attorney(s) appearing for the Case

David L. Bird (Barrie G. McKay, also of McKay, Burton & Thurman, with him on the briefs), Salt Lake City, Utah, for Plaintiff-Appellant.

Robert W. Metzler, Attorney, Tax Division (Loretta C. Argrett, Assistant Attorney General; Ann B. Durney and Curtis C. Pett, Attorneys, Tax Division; Of Counsel: Scott M. Matheson, Jr., United States Attorney, on the brief), Department of Justice, Washington, D.C., for Defendant-Appellee.

Before BRORBY, LOGAN and KELLY, Circuit Judges.


LOGAN, Circuit Judge.

Taxpayer Liane B. Foutz appeals the district court's judgment granting the United States summary judgment in her income tax refund suit. The sole issue on appeal is whether the district court erred in finding that 1990 amendments to the statute of limitations on collections, I.R.C. § 6502, extended the limitations period for collection of the assessment against taxpayer in the circumstances of this case.

I

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