No. 23A1034
John Paul Salvador v. United States
Tags: bankruptcy-code bankruptcy-discharge circuit-split late-filed-return nondischargeable-debt tax-debt
Latest Conference:
N/A
Question Presented (AI Summary)
Whether a late-filed tax return that is accepted by the IRS can be considered a 'return' for purposes of discharging tax debt in bankruptcy under 11 U.S.C. § 523(a)(1)
Docket Entries
2024-05-21
Application (23A1034) granted by Justice Kagan extending the time to file until July 29, 2024.
2024-05-17
Application (23A1034) to extend the time to file a petition for a writ of certiorari from May 30, 2024 to July 29, 2024, submitted to Justice Kagan.
Attorneys
John Paul Salvador
Andrew Timothy Tutt — Arnold & Porter Kaye Scholer, Petitioner
United States
Elizabeth B. Prelogar — Solicitor General, Respondent