United States (IRS) v. Nipper

Thomas Gordon Rice

Case Conclusion Date:September 14, 2012

Practice Area:Tax

Outcome:Defendants were able to remain on their property although they were required to forfeit 320 Acres of the adjoining ranch land in settlement of the debt.

Description:IRS was attempting to foreclose a $1.5 million lien on the Ranch (Home) owned by the defendants Nipper. Defendants wanted to retain their home.