Ferrando v. United States

245 F.2d 582, 51 A.F.T.R. (P-H) 597, 1957 U.S. App. LEXIS 5059
CourtCourt of Appeals for the Ninth Circuit
DecidedJune 7, 1957
Docket15257_1
StatusPublished
Cited by21 cases

This text of 245 F.2d 582 (Ferrando v. United States) is published on Counsel Stack Legal Research, covering Court of Appeals for the Ninth Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Ferrando v. United States, 245 F.2d 582, 51 A.F.T.R. (P-H) 597, 1957 U.S. App. LEXIS 5059 (9th Cir. 1957).

Opinion

245 F.2d 582

57-2 USTC P 11,702

Marguerite FERRANDO and Fred Ferrando, co-executors of the
Last Will and Testament of Mario Ferrando, deceased; Edward
Ferrari and George Ferrari, co-executors of the Last Will
and Testament of Luigi Ferrari, deceased, Appellants,
v.
UNITED STATES of America, Appellee.

Nos. 15256, 15257.

United States Court of Appeals Ninth Circuit.

June 7, 1957.

Henry W. Howard, San Francisco, Cal., for appellants.

Charles K. Rice, Asst. Atty. Gen., Robert N. Anderson, Marvin W. Weinstein, David O. Walter, Attys., Dept. of Justice, Washington, D.C., Lloyd H. Burke, U.S. Atty., Lynn J. Gillard, Asst. U.S. Atty., San Francisco, Cal., for appellee.

Before POPE, LEMMON and HAMLEY, Circuit Judges.

LEMMON, Circuit Judge.

A former newsboy who sold papers at the very corner where stands the building in which this Court sits in San Francisco, and who is now one of the appellants in the instant case--

A handwritten check with a false typewritten date--

An admittedly defective Federal estate tax return filed 'just under the wire' before its due date--

These are some of the highlights disclosed by the record in these two appeals.

1. Statement of the Case

These are appeals from final judgments, entered on June 22, 1956, holding that the appellants, plaintiffs below, take nothing by their complaints, which sought the recovery of penalties collected by the appellee in connection with Federal estate taxes pursuant to the provisions of 26 U.S.C.A. § 3612(d)(1), 1940 Edition, infra.

Notices of appeal were filed on July 17, 1956.

2. Statement of Facts

(a) Estate of Ferrando (No. 15256)

The appellants Marguerite Ferrando, hereinafter Mrs. Ferrando and Fred Ferrando, hereinafter Fred, are the surviving spouse and the son, respectively, of Mario Ferrando, who died in San Francisco, California, on April 20, 1947.

Within a few days after the death of Mario Ferrando, the appellants employed Lloyd J. Cosgrove as their attorney. Mr. Cosgrove had represented the decedent in legal matters and had drawn the latter's last will and testament.

On February 13, 1948, these two appellants were appointed coexecutors of the last will and testament of Mario Ferrando.

The federal estate tax return in the instant case was required to have been filed not later than July 20, 1958, or 'within 15 months after the date of death'. Section § 821(b) of the Internal Revenue Code of 1939, 26 U.S.C.A. 821(b), 1940 Edition; Code of Federal Regulations, Title 26, § 81.63, 1949 Edition. Actually, these appellants did not file their return until on or about February 8, 1949, or more than six months after the 'due date'.

On or about February 15, 1949, Mr. Cosgrove asked Fred to make out a check in payment of the estate tax, saying that he would arrange to have it picked up. An interesting check was prepared. In Fred's handwriting, the stub showed that it was written on February 17, 1949. The check was for $14,525.69, with the Collector of Internal Revenue as the payee, and was signed 'F. Ferrando'. The entire check was in Fred's handwriting-- except the date, which was typewritten, and read 'July 15, 1948', or exactly five days before the due date of the Ferrando estate tax, supra.

Fred testified that he did not insert the clearly false date; that he made out the check at Mr. Cosgrove's request; that he did not remember whether Mr. Cosgrove asked him to leave the date blank, or why he did not insert the date when he drew the check; and that the date on the stub would indicate when the check was actually drawn.

Fred further stated on the stand that he first became aware of the fact that the spurious date had been inserted in the check at the 'first trial', meaning 'the criminal trial involving Mr. Cosgrove'. See Cosgrove and Doyle v. United States, 9 Cir., 1955, 224 F.2d 146.

Finally, Fred testified that he didn't recall whether he left the date blank because he 'merely failed to put the date in', or because he 'deliberately left it out', or because Mr. Cosgrove told him to leave it out. He had 'no recollection about it whatsoever'. Fred added, however, that it was not his practice to omit the dates from checks.

In any event, the estate tax return itself was prepared by Prior and McClellan, a firm of certified public accountants whom Mr. Cosgrove employed in the late fall of 1948.

Regarding the tardy filing of the return, Mr. Cosgrove testified that he telephoned to Paul Doyle, the Chief Office Deputy Collector of Internal Revenue at San Francisco, that he would be unable to file the return on time because of the 'pressure of business in the office'. Mr. Cosgrove's testimony continued:

'I was then told to bring in the return when I did have time to prepare it and file it. I consider that (quite unilaterally.) an indefinite extension of time to file it.'

This conversation, according to Mr. Cosgrove, occurred 'Prior to the date that the Federal estate tax return was to be filed.'

Fred testified that his first knowledge that the return was filed late and that there was a probability that penalties would be imposed was 'The day that the Internal Revenue man called me'.

Mrs. Ferrando is an Italian woman who came to this country from Montevideo, Uruguay, in 1900, and arrived in San Francisco at the age 'of ten or eleven'. Her formal education did not extend beyond the eighth grade of grammar school in San Francisco. She testified that she signed papers and otherwise discharged her duties as executrix of the estate by doing 'Anything Mr. Cosgrove told (her) to do'.

Fred's situation, however, was far different from that of his mother. In their brief, the appellants tell us merely that 'From an early age he worked in his father's concrete contracting business and carried it on after his (father's) death'; and that he 'grew up in the Mission District (in San Francisco) and did not himself complete high school.'

The appellants' picture of Fred's participation in the affairs of his father's business even during the father lifetime is not an adequate one.

On cross-examination, Fred testified that he had been in the concrete business with the elder Ferrando for fifteen years; that he was his father's partner, and 'handled everything'. This, according to Fred's testimony, included 'estimating', 'bidding on jobs', 'ordering * * * materials', 'payment of bills', and, generally, 'running the office'. As they would say on Fred's Mission Street, 'he ran the works'.

In his testimony, however, Fred was careful to exclude 'making the tax returns' from his multifarious duties as his father's managing partner.

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Bluebook (online)
245 F.2d 582, 51 A.F.T.R. (P-H) 597, 1957 U.S. App. LEXIS 5059, Counsel Stack Legal Research, https://law.counselstack.com/opinion/ferrando-v-united-states-ca9-1957.