PT 1 Communications Inc, No. 1:01-bk-12655 (Bankr. E.D.N.Y.)
Case Title: PT 1 Communications Inc
Case Type: Chapter 11 Bankruptcy
Court: U.S. Bankruptcy Court for the Eastern District of New York
Index Number(s): 1:2001bk12655, 1:01-bk-12655, 1:01-12655-cec
Judge: Carla E. Craig
Case Opened: March 9, 2001
Case Closed April 8, 2016
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Docket Entries
Date Filed Dkt # Entry Text
Dec 7, 2006 1004 Opinion/Decision That the IRS's Proof of Claim, to the Extent That it Relates to the 2002 Tax Year, is Expunged. A Separate Order is Being Entered Herewith. (RE: related document(s)977 Motion for Summary Judgment Expunging the Proof of Claim of the IRS #231, filed by Liquidator Edward P. Bond, Creditor Liquidating Trustee of the Liquidating Trust U/A/W PT-1 Communications, Inc.). Signed on 12/7/2006 (aac, ) Additional attachment(s) added on 2/28/2007 (aac, ). Additional attachment(s) added on 5/15/2007 (aac, ).
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Mar 26, 2007 1023 Decision and Order Granting the Trustee's Motion for Summary Judgment Seeking to Expunge the IRS's Request for Administrative Expense Payments for Penalties for Debtor's Failure to Timely Pay Taxes and to Pay Estimated Taxes. Denying Trustee's Motion for Summary Judgment on his Counterclaims Without Prejudice to Renewal Upon a More Complete Record. (RE: related document(s)977 Generic Motion, filed by Consolidated Debtor PT 1 Long Distance Inc, Consolidated Debtor PT 1 Technologies Inc, Liquidator Edward P. Bond, Creditor Liquidating Trustee of the Liquidating Trust U/A/W PT-1 Communications, Inc.). Signed on 3/26/2007 (aac, ) Additional attachment(s) added on 9/17/2008 (nds).
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Mar 31, 2009 1135 Decision and Order. The Trustee's motion for Summary Judgment is granted to the extent that the IRS's administrative expense payment request for Short Period is disallowed, the IRS is directed to accept PT-1's Stub Period tax return, and the Trustee is awarded the 1998 Tax Refund. The Trustee's motion for Summary Judgment on his counterclaim for the 2001 Tax Refund is denied, and this issue is set down for an evidentiary hearing. A separate order shall issue herewith(RE: related document(s) 1032 ). Signed on 3/31/2009 (nds)
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Aug 28, 2009 1164 Decision. For the forgoing reasons, USAC's motion for relief from the Claim Order is Denied. A separate order will issue (RE: related document(s) 341 Motion to Object/Reclassify/Reduce/Expunge Claims, 353 Order on Motion to Object/Reclassify/Reduce/Expunge Claims, 663 Motion to Reconsider , 749 Order on Motion To Reconsider, 1024 Order District Court re: Appeal). Signed on 8/28/2009 (Attachments: 1 Mailing Certificate) (nds)
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Mar 3, 2011 1231 Decision. For the foregoing reasons, the Court concludes that the 2000 NOL may be applied toward the taxable income generated during the Short Period. The Trustee is directed to settle an order consistent with this decision and calculating the tax refund owing, if any, for the Short Period based upon the carry forward of the 2000 NOL and the carry forward and carry back of any net operating losses from the Stub Period and the 2002 tax year arising from the allowed deductions (RE: related document(s) 1032 Generic Motion Two Part, 1135 Opinion/Decision for External Web Page, 1136 Order to Schedule Hearing (Generic), 1193 Motion to Authorize/Direct filed by Creditor United States of America). Signed on 3/3/2011 (dkc)
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Sep 28, 2011 1263 Decision (related document(s)1244 Motion to Reconsider filed by Chapter 11 Trustee Edward P. Bond, Liquidating Trustee of the Liquidating Trust U/A/W PT-1 Communications, Inc.). For the foregoing reasons, the Trustee's motion for partial reconsideration is denied. A separate order will issue. Signed on 9/28/2011 (pgm)
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Sep 25, 2020 1302 Main Document
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