Disciplinary Proceedings Against Nussberger

2009 WI 103, 775 N.W.2d 525, 321 Wis. 2d 576, 2009 Wisc. LEXIS 688
CourtWisconsin Supreme Court
DecidedDecember 4, 2009
Docket2009AP353-D
StatusPublished
Cited by9 cases

This text of 2009 WI 103 (Disciplinary Proceedings Against Nussberger) is published on Counsel Stack Legal Research, covering Wisconsin Supreme Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Disciplinary Proceedings Against Nussberger, 2009 WI 103, 775 N.W.2d 525, 321 Wis. 2d 576, 2009 Wisc. LEXIS 688 (Wis. 2009).

Opinion

*578 PER CURIAM.

¶ 1. We review the stipulation filed by the Office of Lawyer Regulation (OLR) and Attorney Terry L. Nussberger regarding his professional misconduct in handling the probate of the estate of VK. The OLR and Attorney Nussberger stipulate Attorney Nussberger violated his duties of competence and diligence in probating the estate and agree the appropriate discipline would be a public reprimand.

¶ 2. Upon our independent review, we adopt the stipulated facts and accept the stipulation. Given the nature of the misconduct in this matter, we conclude Attorney Nussberger's professional misconduct warrants a public reprimand.

¶ 3. Attorney Nussberger was admitted to practice law in Wisconsin in 1983 and practices in Ladysmith. On March 29, 2003, Attorney Nussberger received a public reprimand for misconduct that violated SCR 20:8.4(c). See Public Reprimand of Terry L. Nuss *579 berger, 2003-6. On August 8, 2006, Attorney Nussberger's license to practice law was suspended for 60 days, effective September 11, 2006, for counseling a client to engage in conduct that he knew was criminal or fraudulent, contrary to SCR 20:1.2(d). See In re Disciplinary Proceedings Against Terry L. Nussberger, 2006 WI 111, ¶ 25, 296 Wis. 2d 47, 719 N.W.2d 501. His license was reinstated on November 10, 2006.

¶ 4. The current disciplinary matter involves the probate of the VK. estate. Attorney Nussberger stipulates to having committed two counts of professional misconduct:

Count One. By failing to value the assets of the estate in a timely and accurate manner; by failing to determine whether the estate was required to file state and federal estate tax returns prior to the filing deadlines; and by preparing and filing an inventory and amended inventory that incorrectly used the redemption value of the decedent's savings bonds rather than the date of death value, Attorney Nussberger violated SCR 20:1.1. 1
Count Two. By failing to file an estate inventory until almost a year after the filing deadline and by failing to file estate tax returns for almost three years after the filing deadline, Attorney Nussberger violated SCR 20:1.3. 2

¶ 5. The following facts are stipulated. VK. died on August 21, 2001, leaving a will dividing her estate *580 among her beneficiaries. Attorney Nussberger was retained to probate her estate and filed a formal probate petition on November 29, 2001. On January 14, 2002, R.G. was named personal representative.

¶ 6. R.G. gave to Attorney Nussberger VK.'s U.S. savings bonds with a total face value of $77,825 and accrued interest. The remaining estate assets consisted of certificates of deposit, personal property, bank accounts, and a home. The value of these remaining assets totaled $278,000.

¶ 7. On January 17, 2002, Attorney Nussberger wrote to R.G. indicating the value of the savings bonds had not yet been determined but that Attorney Nussberger would take care of the valuation promptly. To file an estate inventory and determine whether the estate needed to file tax returns, a determination of the bonds' date of death value was necessary. If the total value of the estate exceeded $675,000, the estate would have been required to file state and federal estate tax returns or file within nine months of the date of death an extension request with an estimated tax payment. The filing deadline was May 21, 2002.

¶ 8. R.G. redeemed the U.S. savings bonds in two groups. He redeemed the first group on September 23, 2002, for a total of $369,557.84. He redeemed the second group on October 15, 2002, for a total of $90,791.12. Because the bonds' redemption and other estate assets totaled $738,348.96, an estate tax return was required.

¶ 9. Attorney Nussberger failed to determine whether the estate's value exceeded $675,000 and did not file estate tax returns in 2002. Also, an estate inventory was required to have been filed within six months of the personal representative's appointment. Attorney Nussberger did not file an estate inventory by the July 14, 2002, deadline.

*581 ¶ 10. On June 6, 2003, Attorney Nussberger filed an estate inventory inaccurately listing the total estate value as $647,928. The inventory omitted the bonds redeemed in October 2002 and erroneously valued the other bonds at their redemption value, rather than their date of death value. In June or July 2003 Attorney Nussberger realized the bonds redeemed in October 2002 had been omitted from the inventory. He stipulates he should have also realized at this time that an estate tax return was required. Although Attorney Nussberger charged the estate for one hour of his time to review the bonds' values, he failed to determine their date of death values.

¶ 11. In September 2003 VK.'s house was sold. Upon the completion of the sale all estate assets had been liquidated. Therefore, the estate could have been closed after the filing of a final account and final tax returns. Other than filing a fiduciary income tax return prepared by the estate's accountant, nothing happened to close the estate for the next year.

¶ 12. On September 27, 2004, over a year after Attorney Nussberger determined he had inadvertently omitted the bonds redeemed on October 2002 from the estate inventory, he filed an amended inventory listing a total estate value of $738,719, with the bonds still listed at their redemption value rather than their date of death value. In January 2005 the estate's accountant provided Attorney Nussberger with the bonds' date of death value.

¶ 13. On January 13, 2005, Attorney Nussberger filed a second amended inventory listing the bonds' date of death value and showing a total estate value of $726,222.50. Also in January 2005 Attorney Nussberger filed an untimely Wisconsin estate tax return, *582 resulting in a $500 late penalty and $8,946.79 in interest. In April 2005 a federal estate tax return was filed and no tax was owed.

¶ 14. On January 20, 2005, Attorney Nussberger filed a petition for an extension to close the estate, stating that he was waiting for a Wisconsin Department of Revenue certificate. On January 28, 2005, three and one-half years after the date of death, Attorney Nussberger wrote to the estate's heirs, explaining that an accurate valuation of the estate had been accomplished. When R.G. questioned Attorney Nussberger about the interest and penalty charges totaling $9,446.79 on the Wisconsin estate tax return, Attorney Nussberger responded that "no one had any idea that the assets would surpass the [estate tax] limit and that an Estate Tax return would even have to be filed."

¶ 15. On November 28, 2005, Attorney Nussberger filed a final account and, on January 6, 2006, filed an amended final account. At the February 2006 hearing on the final account, R.G. alleged Attorney Nussberger should be held responsible for the $500 penalty and $8,946.79 interest for the late estate tax return.

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Bluebook (online)
2009 WI 103, 775 N.W.2d 525, 321 Wis. 2d 576, 2009 Wisc. LEXIS 688, Counsel Stack Legal Research, https://law.counselstack.com/opinion/disciplinary-proceedings-against-nussberger-wis-2009.