Cluster 2018169
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· 11 citation events
across 5 courts.
Showing the 5 strongest citers on record
(one row per citing case, strongest signal kept).
See In re Middendorf, 381 B.R. 774, 778 (Bankr.
“The Trustee has no claim under § 548 to settle with the IRS.”
Accordingly, the Estate has not been deprived its portion of the refund. 381 B.R. 774, 778 (Bankr.
emphasis added
Accordingly, the Estate has not been deprived its portion of the refund. 381 B.R. 774, 778 (Bankr.
emphasis added
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In Re Schwinn (2009)
In re Middendorf, 381 B.R. 774, 779 (Bankr.D.Kan.2008). 42 .
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Weinman v. Graves (In Re Graves) (2010)
See In re Middendorf, 381 B.R. 774, 778-80 (Bankr.D.Kan. *1157 2008) (“The debtors’ interest in a pre-petition tax overpayment is a contingent reversionary interest pending the final determination of the debtors’ tax liability.