MEMORANDUM OPINION
STEPHEN S. MITCHELL, Bankruptcy Judge.
Before the court is the motion of the Internal Revenue Service ("IRS") for summary judgment determining that the debtor's 1996 and 1997 federal individual income tax liabilities were not discharged by a discharge granted the debtor in a chapter 7 case he filed in 2004. The IRS has conceded that the debtor's 1995 tax liabilities—the enforcement of which precipitated this litigation—have...
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