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Opinion 284

Case Name: 

In re Sedgwick

Judge: 
Judge Clark
Date: 
Jul-7-1989
Case Number(s): 
84C-1985
Status: 

UNPUBLISHED

Body: 

Debtors claimed that income tax refunds were "disposable earnings" that are subject to exemption under Utah law, and the chapter 7 trustee objected. Relying on Kokoszka v. Belford, 417 U.S. 642 (1974), the court concluded that income tax returns are not disposable earnings and, therefore, could not be exempted from the debtors' estate.

Internal Ref: 
Opinion 284
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