Dean v. United States

987 F. Supp. 1160, 83 A.F.T.R.2d (RIA) 1251, 1997 U.S. Dist. LEXIS 22545, 1997 WL 795731
CourtDistrict Court, W.D. Missouri
DecidedDecember 4, 1997
Docket96-0652-CV-W-5
StatusPublished
Cited by10 cases

This text of 987 F. Supp. 1160 (Dean v. United States) is published on Counsel Stack Legal Research, covering District Court, W.D. Missouri primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Dean v. United States, 987 F. Supp. 1160, 83 A.F.T.R.2d (RIA) 1251, 1997 U.S. Dist. LEXIS 22545, 1997 WL 795731 (W.D. Mo. 1997).

Opinion

ORDER

LAUGHREY, District Judge.

This case was tried to the Court on November 4 and 5, 1997. Plaintiffs, as the Trustees of the George and Catherine Irrevocable Trust, assert that a wrongful levy was made on trust assets by the Internal Revenue Service (“IRS”). The government claims that the levy was proper because George and Catherine Mossie are delinquent taxpayers and the George and Catherine Irrevocable-Trust is merely the alter ego of these delinquent taxpayers. The trustees claim that the trust is not the alter ego of George and Catherine Mossie, therefore, the seizure of trust property by the IRS was wrongful and the property should be returned to the trust.

The Court makes, the following findings of fact and conclusions of law.

FINDINGS OF FACT

1. In 1950, George W. Mossie married Catherine P. Mossie.

2. In 1967, George W. Mossie and Catherine P. Mossie separated and lived apart from one another and continue to do so. During this separation, the Mossies continued to perform their respective functions in the various family businesses and were amicable in their relationship with each other.

3. Prior to their separation, the Mossies had four children, Tom Mossie, Joanne R. *1162 Mossie (Dean), Janet A. Mossie and Linda L. Mossie.

4. In 1987, the Mossies decided to equally divide part of the real property owned in their individual names. The division was done because of their long-term separation and upon the advice of their estate planning counsel. On February 23, 1987, deeds were prepared and the property was conveyed into their respective 1987 revocable trusts.

5. In September of 1987, George W. Mos-sie was severely injured in an automobile accident and thereafter underwent multiple surgeries which rendered him disabled. In 1988, Catherine P. Mossie suffered a life-threatening illness from which she was not expected to recover. She also had surgery in 1989. Because of these illnesses, George and Catherine Mossie decided to transfer then-assets into an irrevocable trust for the sole benefit of their children. This was done on advice of their estate planning counsel.

6. In November of 1989, the Mossies executed the George and Catherine Irrevocable Trust (hereinafter 1990 Irrevocable Trust) naming Joanne Mossie Dean and Janet A. Mossie as the trustees. The following assets were to be transferred into the irrevocable trust.

a. 20,000 shares of Summit Structural Steel.

b. Fifteen duplex units, which had been acquired in 1975 in the name of George and Tom Mossie.

c. Lake investment property which was used for family vacations.

7. The foregoing assets were not transferred into the trust until December 4, 1990. The delay was caused by the ill health of George and Catherine Mossie.

8. When the Mossies transferred then-assets into the trust on December 4, 1990, they did not know that their 1988 tax return was being audited by the IRS. At that time, they did not know that they would be assessed back taxes by the IRS. Eventually, the IRS audited the Mossies’ 1987, 1988, 1989, and 1990 jointly-filed tax returns and did assess back taxes against them.

9. At the time the assets were transferred into the 1990 Irrevocable Trust, the Mossies had a net worth sufficient to cover their current liabilities and the tax liability that was eventually assessed against them by the IRS.

10. After a proceeding in the United States Tax Court to determine the tax deficiency owed by the Mossies for their jointly-filed returns for tax years 1987, 1988, 1989, and 1990, the IRS assessed back taxes and penalties against the Mossies in the amount of $281,093.95.

11. On February 8, 1993, the Internal Revenue Service assessed a trust fund recovery penalty in the amount of $109,125.71 against George W. Mossie, Tom Mossie and Summit Structural Steel, relating to the unpaid employment taxes withheld from the wages of the employees of Summit Structural Steel pursuant to I.R.C. § 6672. This assessment was made against George W. and Tom Mossie because they were persons required to collect and truthfully account for and pay over to the United States the federal social security and income taxes withheld from the wages of the employees of Summit Structural Steel, Inc., for the taxable quarter ending June 30,1992.

12. On May 4, 1994, two additional real estate holdings were transferred into the 1990 Irrevocable Trust.

a. The west 70 feet of Lot 2, Highway Lane Addition, a subdivision in Lee’s Summit, Missouri.

b. Lot 85, Braeside Addition, a subdivision in Lee’s Summit, Jackson County, Missouri, also known as 311 Lincolnwood.

c. Log 4, Ziegler Addition, a subdivision in Lee’s Summit, Jackson County, Missouri.

These properties were titled in the name of Alamo Real Estate Company, a company owned by George and Catherine Mossie, which was dissolved in 1994 because of financial difficulty.

13. In 1995, notices of a federal tax lien were filed with the Recorder of Deeds for Jackson County, Missouri, and Morgan County, Missouri, against property held in the names of Joanne R. Dean and Janet A. Mossie, as co-trustees of the 1990 Irrevocable Trust. These liens were levied against *1163 the trustees as the nominees or alter egos of George W. Mossie and Catherine P. Mossie.

14. The 1990 Irrevocable Trust is not the nominee or alter ego of delinquent taxpayers George W. Mossie and Catherine P. Mossie.

15. The assets of the 1990 Irrevocable Trust are controlled by the Plaintiff trustees and not George W. Mossie and Catherine P. Mossie.

a. Except for a brief period at the beginning of the trust when Catherine Mossie used old checks to pay for rental property expenses, all trust checks are signed by the trustees. Catherine Mossie used the old checks because she did not want to waste them.

b. All deeds and other transfer documents are signed by the trustees.

c. All tax returns are executed by the trustees.

d. All promissory notes are executed by the trustees.

e. All management decisions concerning the trust and its property are made by the trustees,- not Catherine or George Mossie.

16. George and Catherine Mossie do receive some benefits from the trust.

a. The trustees permit Catherine Mossie to live at 311 Lincolnwood Drive, which has been the family home for the last 33 years. Catherine Mossie does not pay rent to live at 311 Lincolnwood Drive. Catherine Mossie does pay the utilities at 311 Lincolnwood Drive.

b. The trust also provides a ear to Catherine Mossie and George Mossie which -is available for their personal use.

c. The trustees would permit George and Catherine Mossie to stay at the family vacation home, but only Catherine has gone there since 1990 and only once or twice.

17.. George Mossie did not significantly benefit when the trust loaned $275,000. to Summit Structural Steel to pay employment

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Bluebook (online)
987 F. Supp. 1160, 83 A.F.T.R.2d (RIA) 1251, 1997 U.S. Dist. LEXIS 22545, 1997 WL 795731, Counsel Stack Legal Research, https://law.counselstack.com/opinion/dean-v-united-states-mowd-1997.