Drake v. Massachusetts Department of Revenue (In Re Drake)

434 B.R. 11, 2010 Bankr. LEXIS 2266, 2010 WL 2857804
CourtUnited States Bankruptcy Court, D. Massachusetts
DecidedJuly 19, 2010
Docket13-16803
StatusPublished
Cited by4 cases

This text of 434 B.R. 11 (Drake v. Massachusetts Department of Revenue (In Re Drake)) is published on Counsel Stack Legal Research, covering United States Bankruptcy Court, D. Massachusetts primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Drake v. Massachusetts Department of Revenue (In Re Drake), 434 B.R. 11, 2010 Bankr. LEXIS 2266, 2010 WL 2857804 (Mass. 2010).

Opinion

MEMORANDUM OF DECISION

WILLIAM C. HILLMAN, Bankruptcy Judge.

I. INTRODUCTION

The matters before the Court are the Defendant’s, Massachusetts Department of Revenue (the “MDOR”), Motion for Summary Judgment (“MDOR’s Motion for Summary Judgment”), the Plaintiffs, Barbara Drake (“Drake”), opposition thereto, Drake’s Motion for Summary Judgment (“Drake’s Motion for Summary Judgment”), and the MDOR’s opposition. Generally, the parties seek to determine whether the MDOR maintains a valid tax lien against Drake that attached to Drake’s right to her retirement pension prior to her filing her bankruptcy petition, and whether the MDOR violated the discharge injunction. For the reasons set forth below, I will enter judgment granting in part and denying in part both of the motions for summary judgment.

II. BACKGROUND

Drake was born on May 30, 1939. 1 For more than thirty years she has been employed as a public elementary school teacher in Massachusetts and has been a *15 member of the Massachusetts teachers’ contributory retirement system. 2 At all times relevant hereto, Drake has been married to and resided with Gregory Drake (“Gregory,” collectively, with Drake, the “Drakes”). 3

The Drakes filed late joint income tax returns for the years 1993 through 1996 (the “1993-1996 Taxes”). 4 The assessment date (the date the late return was filed) and assessment amount are summarized in the matrix below: 5

Period Assessment Date Assessment Amount

1993 3/27/1995 $2,200.00

1994 2/26/1998 $550.00

1995 9/25/1997 $47,082.00

1996 9/26/1997 $2,598.00

Pursuant to Massachusetts law, the tax hens (the “Tax Liens”) arose at the time of the assessment for the delinquent taxes. 6 The Tax Liens attached to all property or rights to property the Drakes held either jointly or separately. 7

On August 19, 1997, before the Drakes filed the late tax returns for 1995-1996, they filed a joint Chapter 13 bankruptcy petition in the United States Bankruptcy Court for the District of Massachusetts (the “Joint Case”). 8 Almost two years later, on July 20, 1999, the Joint Case was dismissed without a Chapter 13 plan having been confirmed. 9

On May 9, 2000, the MDOR filed a Notice of Massachusetts Tax Lien for the delinquent 1993-1996 Taxes (the “Notice”) in the Barnstable County Registry of Deeds and in the Office of the Secretary of State. 10 Approximately one month after the Notice was filed, on June 3, 2000, the Drakes entered into a payment agreement with the MDOR for the 1993-1996 Taxes that required that they make monthly payments in the amount of $600 to the MDOR and that they continue to file their tax returns (the “Payment Agreement”). 11

Later that same year, Gregory entered into a payment agreement with the MDOR for certain trust fund taxes incurred by one of his businesses for which he had been held personally liable (the “Business Payment Agreement”). 12 The Business Payment Agreement required that Gregory make monthly payments of $150 to the MDOR and continue to file appropriate tax returns. 13

On September 30, 2003 (the “Petition Date”), Drake, this time on her own, filed a voluntary Chapter 13 petition (the “Bankruptcy Case”). 14 On her Schedule B-Personal Property, Drake listed her right to a pension from the Massachusetts Teachers’ Contributory Retirement system (the “Pension”), which had vested by the Petition Date though she had not retired yet. 15 The next month, the MDOR filed a secured proof of claim for unpaid taxes as follows: 16

*16 Assessment Period Date Tax Interest Penalty

1993 3/27/1996 $ 0.00 $ 46.26 $ 22.72

1994 2/2/1996 $ 0.00 $ 507.85 $ 118.92

1995 9/25/1997 $25,241.00 $50,767.19 $19,307.35

1996 9/26/1997 $ 0.00 $ 218.80 $ 75.45

On September 2, 2004, upon Drake’s motion, the Bankruptcy Case was converted to one under Chapter 7. 17 That December, Drake was granted a discharge (the “Discharge”) 18 under section 707 of the Bankruptcy Code (the “Code”). 19

On January 3, 2006, Drake’s attorney sent a letter to an attorney at the MDOR allegedly confirming a conversation that they had in which the MDOR’s attorney stated that “the liens which had been filed against Mrs. Drake have expired as a matter of law and that the [MDOR] can no longer collect from Mrs. Drake for [the 1993-1996 Taxes]” (the “Lien Expiration Letter”). 20 There is no response to this letter in the record nor is there any other evidence substantiating the claim made therein.

By 2008, the only outstanding liability was for the 1995 and 1996 taxes (the “1995-1996 Taxes”). 21 Gregory continued to make payments on the Payment Agreement through February of 2008. 22 Two months later, after Gregory had stopped making payments on the Payment Agreement, the MDOR sent Gregory a “Notice of Intent to Terminate Payment Agreement” for failure to comply with the terms of the Payment Agreement. 23 In April of 2008, Gregory’s counsel, Timothy Burke (“Burke”) applied for hardship relief (the “Hardship Application”) for the remaining balances of the 1995-1996 Taxes and his business trust fund taxes in light of a medical condition that purportedly left Gregory unable to continue to make payments pursuant to the Payment Agreement 24 In response to the Hardship Application, the MDOR reviewed Gregory’s application to determine what additional documents were needed to make a decision. 25

On May 14, 2008, a tax representative from the MDOR, Anne Breton (“Breton”), and Burke discussed Gregory’s Hardship Application. 26

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434 B.R. 11, 2010 Bankr. LEXIS 2266, 2010 WL 2857804, Counsel Stack Legal Research, https://law.counselstack.com/opinion/drake-v-massachusetts-department-of-revenue-in-re-drake-mab-2010.