IN RE McKOWEN

No. CIV.A. 01-M-117.

263 B.R. 618 (2001)

In re John Roderick McKOWEN, Debtor. John Roderick McKOWEN, Plaintiff/Appellee, v. INTERNAL REVENUE SERVICE, United States of America, Department of the Treasury, Defendant/Appellant.

United States District Court, D. Colorado.

June 18, 2001.


Attorney(s) appearing for the Case

Matthew David Skeen, Skeen & Skeen, PC, Georgetown, CO, for John Roderick McKowen.

John E. Steele, Internal Revenue Service, District Counsel, Denver, CO, Christopher H. La Rosa, U.S. Department of Justice, Tax Division, Washington, DC, for Internal Revenue Service.


ORDER AND JUDGMENT

MATSCH, District Judge.

The question presented by this appeal under 28 U.S.C. § 158(a)(1) is whether the bankruptcy judge erred in concluding that an indebtedness arising from transferee liability for an unpaid income tax owed by a defunct corporation and assessed against John Roderick McKowen ("McKowen" or "Debtor") was not excepted from the order of discharge in McKowen's individual Chapter 7 bankruptcy proceeding. Because the briefing...

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