Fidelity and Deposit Company of Maryland v. City of Adelanto United States Internal Revenue Service

87 F.3d 334, 96 Cal. Daily Op. Serv. 4484, 96 Daily Journal DAR 7310, 78 A.F.T.R.2d (RIA) 5069, 1996 U.S. App. LEXIS 14941, 1996 WL 346680
CourtCourt of Appeals for the Ninth Circuit
DecidedJune 21, 1996
Docket95-55344
StatusPublished
Cited by14 cases

This text of 87 F.3d 334 (Fidelity and Deposit Company of Maryland v. City of Adelanto United States Internal Revenue Service) 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
Fidelity and Deposit Company of Maryland v. City of Adelanto United States Internal Revenue Service, 87 F.3d 334, 96 Cal. Daily Op. Serv. 4484, 96 Daily Journal DAR 7310, 78 A.F.T.R.2d (RIA) 5069, 1996 U.S. App. LEXIS 14941, 1996 WL 346680 (9th Cir. 1996).

Opinion

RYMER, Circuit Judge:

Fidelity and Deposit Company of Maryland (F & D) claims an interest in funds held by the City of Adelanto upon which the Internal Revenue Service issued a notice of levy. A contractor for whom F & D was surety had defaulted, F & D stepped up to the plate and paid to complete the project, and it wanted reimbursement from funds held by the City otherwise due the contractor who had also failed to pay taxes. F & D sued, but not until after the nine month statute of limitations for claims against the IRS for wrongful levy under 26 U.S.C. § 7426(a)(1) 1 had run. It therefore turned *335 to 28 U.S.C. § 2410(a)(1), 2 alleging that the federal court had jurisdiction and the United States had waived sovereign immunity for an action to quiet title to the contractor’s funds held by the City.

The problem is that we held in Winebrenner v. United States, 924 F.2d 851 (9th Cir.1991), that the exclusive remedy for a third party whose property has been levied upon by the IES is an action under 26 U.S.C. § 7426(a)(1) for wrongful levy (which has a nine months statute of limitations), and that an action under 28 U.S.C. § 2410(a)(1), to quiet title (which has a six years period of limitations), is not available. Recognizing this, the district court dismissed F & D’s second amended complaint with prejudice.

The question is whether Winebrenner, which otherwise squarely controls, remains good law in light of United States v. Williams, — U.S.-, 115 S.Ct. 1611, 131 L.Ed.2d 608 (1995), which held that a third party who paid a tax under protest to remove a lien on her property has standing to bring a refund action under 28 U.S.C. § 1346(a)(1), and WWSM Investors v. United States, 64 F.3d 456 (9th Cir.1995), which also held that 26 U.S.C. § 7426 was not the exclusive remedy for a claim for refund from the IRS. We hold that where suit is by a nontaxpayer third party and § 7426(a)(1) applies, and the alternative basis proffered for waiver of sovereign immunity is an action to quiet title under § 2410(a)(1), Winebrenner continues to control and § 7426 is the exclusive remedy.

We therefore affirm.

I

In December 1989, the City hired Cates Construction to act as the primary contractor on a project to build a “Return to Custody Center.” Cates purchased a Public Works Performance Bond from F & D guaranteeing faithful performance of its contract with the City, and a Payment Bond, guaranteeing prompt payment of certain material and labor costs.

A year later, Cates abandoned the project and failed to pay numerous subcontractors, material suppliers, and laborers, to the tune of several hundred thousand dollars. The City wanted to complete the project, and looked to F & D for the money to do so. F & D obliged, as it had to do under the bonds, and spent almost two million dollars in the process. But that wasn’t the end of its troubles.

The IRS entered the picture because Cates owed half a million dollars for unpaid withholding and FICA taxes. On February 27, 1991, the IRS filed a notice of federal tax lien against all of Cates’s property and rights to property. The next day, the IRS served a notice of levy on the City for any money the City owed Cates (roughly $600,000).

Meanwhile, F & D had asked the City to reimburse some of what it had spent to complete the project, but the City now couldn’t do so because of the outstanding federal tax levy on the remaining contract funds the City was holding. Therefore, on May 10, 1993, F & D filed this action against the City and the IRS seeking a declaration that Cates had no property or rights to property in the funds levied upon by the IRS and that F & D had a super priority right to the funds over the IRS’s liens, as well as an order directing the City to hand over the contract funds to F & D instead of the IRS.

The original complaint failed to allege a statutory basis upon which the government waived sovereign immunity and was dismissed with leave to amend. F & D’s first amended complaint averred that the court had jurisdiction under 28 U.S.C. §§ 1340 and 1346 and that sovereign immunity had been waived by 26 U.S.C. § 2410(a)(1) (suits to “quiet title”). After the district court again dismissed, F & D filed its second amended complaint alleging that sovereign immunity is waived by virtue of either § 2410(a)(1) or *336 § 7426. Having afforded F & D two opportunities to amend, the district court concluded that the facts alleged are insufficient to come within the sovereign immunity waiver of § 2410 and that any claim under § 7426 is time barred under Winebrenner and Sessler v. United States, 7 F.3d 1449 (9th Cir.1993).

F & D appeals. Although the district court’s order dismissed the complaint only as against the IRS, we have jurisdiction under 28 U.S.C. § 1291 because F & D has since dismissed its claims against the City, the last remaining defendant. Anderson v. Allstate Ins. Co., 630 F.2d 677, 680-81 (9th Cir.1980).

II

Our review here is de novo because we must address whether the United States waived its sovereign immunity, E.J. Friedman Co., Inc. v. United States, 6 F.3d 1355, 1357 (9th Cir.1993), and the district court’s ruling on the appropriate limitations period, Winebrenner, 924 F.2d at 855, questions that both involve review of the district court’s interpretation of statutes. Batchelor v. Oak Hill Medical Group, 870 F.2d 1446, 1447 (9th Cir.1989).

III

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87 F.3d 334, 96 Cal. Daily Op. Serv. 4484, 96 Daily Journal DAR 7310, 78 A.F.T.R.2d (RIA) 5069, 1996 U.S. App. LEXIS 14941, 1996 WL 346680, Counsel Stack Legal Research, https://law.counselstack.com/opinion/fidelity-and-deposit-company-of-maryland-v-city-of-adelanto-united-states-ca9-1996.