Opinion · Supreme Court of the United States

Holywell Corp. v. Smith

503 U.S. 47

Type
Opinion
Court
Supreme Court of the United States
Jurisdiction
Federal
Date
1992-02-25
Topic
bankruptcy

holding that post-confirmation creditors are not bound by a confirmed plan | finding that failure to object to confirmation of plan did not preclude the United States from collecting taxes from a trustee | finding that § 1141(a) cannot bind a creditor 15 with respect to a post-confirmation claim | shifting tax burden to trustee in corporate chapter 11 case because chapter 11 bankruptcy created a separate entity overseen by the trustee | shifting tax burden to trustee in corporate chapter 11 case because chapter 11 bankruptcy created a separate entity overseen by the trustee | accepting Black’s definition of “assignee” and “assignment” as “the usual definition[s] ... in both ordinary and legal usage.” | discussing the role of a liquidating trustee of a trust created pursuant to § 1123(a)(5)(B) of the Bankruptcy Code | trustee appointed under plan-established trust liable for post-confirmation taxes because binding nature of the confirmed plan reaches only preconfirmation obligations | Chapter 11 trustee is required to file tax returns and pay taxes with respect to the debtor | duty of liquidating ‘ trustee, appointed to chapter 11 plan, to pay taxes on income generated by estate arose by operation of law | trustee as assignee who liquidates the debtor’s property must pay income tax attributable to corporate debtor’s property | “The Internal Revenue Code ties the duty to pay federal income taxes to the duty to make an income tax return.” | trustee in bankruptcy must file income tax returns and pay taxes on income received by bankrupt’s estate | “Section 6012(b)(4), as the debtors assert, applies to the fiduciary of a trust as well as the fiduciary of a bankruptcy estate.” | "No tax liability becomes due under § 6151 until the time required for making ... returns." | trustee appointed pursuant to chapter 11 plan to liquidate and distribute debtor’s property, which had been transferred to a trust, was a fiduciary under the IRC and was required to file tax returns | trustee appointed pursuant to chapter 11 plan to liquidate and distribute debtor's property, which had been transferred to a trust, was a fiduciary under the IRC and was required to file tax returns | although creditors with pre-petition claims are bound by a confirmed plan pursuant to § 1141(a), post-petition creditors, because they do not fall within the reach of § 1141(a | “Even if § 1141(a) binds creditors of ... debtors with respect to claims that arose before confirmation, we do not see how it can bind the United States or any other creditor with respect to postconfirmation claims” | “As the assignee of ‘all’ or ‘substantially all’ of the property of the corporate debtors, the trustee must file the returns that the corporate debtors would have filed had the plan not assigned their property to the trustee” (emphasis added) | “As the assignee of ‘all’ or ‘substantially all’ of the property of the corporate debtors, the trustee must file the re- turns that the corporate debtors would have filed had the plan not assigned their property to the trustee” (emphasis added) | “Even if § 1141(a) binds creditors of the corporate and individual debtors with respect to claims that arose before confirmation, we do not see how it can bind ... any ... creditor with respect to postconfirmation claims” | “Even if § 1141(a) binds creditors of the corporate and individual debtors with respect to claims that arose before confirmation, we do not see how it can bind the United States or any other creditor with respect to postconfirmation claims” | “Even if § 1141(a) binds creditors of the corporate and individual debtors with respect to claims that arose before conformation, we do not see how it can bind the United States or any other creditor with respect to post-confirmation claims.” | Section 1141(a) cannot bind creditors with respect to postconformation claims | tax returns for property of the estate | tax returns for property of the estate

Citator

Cited by
42 opinions