Gossett v. Auburn National Bank of Auburn

514 N.E.2d 309, 1987 Ind. App. LEXIS 3127
CourtIndiana Court of Appeals
DecidedOctober 19, 1987
Docket49A04-8612-CV-00379
StatusPublished
Cited by10 cases

This text of 514 N.E.2d 309 (Gossett v. Auburn National Bank of Auburn) is published on Counsel Stack Legal Research, covering Indiana Court of Appeals primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Gossett v. Auburn National Bank of Auburn, 514 N.E.2d 309, 1987 Ind. App. LEXIS 3127 (Ind. Ct. App. 1987).

Opinion

CONOVER, Judge.

Defendant-Appellant Ed Gossett (Gos-sett) appeals the trial court's judgment divesting him of the interest he acquired in certain real estate by way of a tax sale.

We reverse.

ISSUES

Because we reverse, we address only the following dispositive issues which we raise sua sponte:

1. whether Auburn National Bank (Auburn) lacks "standing" to argue Ind.Code § 6-1.1-24-4.2 violated First Federal Savings and Loan Association's (First Federal) Fourteenth Amendment due process right to receive notice "reasonably calculated to apprise" it of a pending tax sale of real estate upon which it held a mortgage, and

2. whether Auburn was entitled to notice of proposed issuance of the tax deed.

FACTS

0.8.1., Inc. (OST) was an Indiana corporation. The subject real estate, commonly known as 6415 West Washington Street, Indianapolis, Marion County, Indiana (6415), was one of several properties OSI acquired in Indiana upon which Omelette Shop restaurants were located. OSI acquired title to 6415 by warranty deed dated September 1, 1977, recorded September 14, 1977, in the office of the Recorder of Marion County (recorder).

Ken Sexton (Sexton), a vice president of OSI, was hired in 1977 to oversee OSI's business interests in Indiana. His duties included paying the property taxes assessed on OSI's various parcels of Indiana real estate, including 6415. Sexton was terminated by OSI in December, 1981. Since then, two other persons have been responsible therefor. However, OSI never paid any of the real estate taxes assessed against 6415 from the time OSI acquired it in 1977 until it was sold to Gossett at the tax sale in 1982.

On February 20, 1978, OSI executed a mortgage on 6415 to secure a loan made to it by First Federal. This mortgage was recorded the following day, February 21, 1978, in the recorder's office. Francis San-da (Sanda), an officer and shareholder of OSI, was guarantor of the loan secured by this mortgage.

Since 1979, the township assessors of Marion County have kept copies of the deeds filed for record and the real estate transfer books, rather than the Marion County Auditor (auditor). 1 These asses *311 sors first value the parcels for tax purposes, assign a parcel number to each piece of real estate, keep records of the property owners in their townships and the addresses to which the property owners request that tax notices be sent, and of any requests to change the mailing addresses for tax purposes. (R. 474-5). These parcel numbers, names, and mailing addresses are then put into the Marion County computerized property system. Only the township assessor may change the tax mailing address, the auditor is not empowered to do so. (R. 507).

The handwritten notation appearing on the deed conveying 6415 to OSI is

c/o Robt T. Wildman 2450 1 Indiana Sq. Tax statement:

according to the Wayne Township assessor's records. (R. 478). 6415 is located in Wayne Township. Wildman was an Indianapolis attorney who represented OSI sporadically during its corporate existence.

Because OSI was delinquent in paying the taxes assessed on 6415, the auditor on June 25, 1982, mailed notices of proposed tax sale of the property by certified mail to:

OSI Inc.
c/o KEN SEXTON
SUITE G
920 N SHADELAND AVE
INDIANAPOLIS IN 46219

(R. 488). The notices were returned to the auditor's office undelivered and marked "not deliverable as addressed-unable to forward." No notice of the proposed 1982 tax sale was ever mailed to First Federal by the auditor. First Federal never filed a request with the auditor to be mailed a copy of any notice of a proposed tax sale of 6415 as authorized by IC 6-1.1-24-4.2, 2 the statute in force at that time.

At the sale, 6415 was sold to Gossett who paid $6,213.71 for it on August 10, 1982. That sum represented the total amount assessed against it for taxes and sewage service to the date of the sale. The auditor's office issued Gossett a certificate of sale.

In 1984, OSI was liquidated. It conveyed title to 6415 to Sanda by quitclaim deed as Sanda's share of the liquidation distribution. At the same time, Auburn loaned Sanda $200,000 which was secured by a mortgage on 6415. As a condition of that loan, all existing liens and encumbrances, including the First Federal mortgage, were to have been fully paid from the loan's proceeds so that Auburn's mortgage would be a first lien on the property. That deed and mortgage were recorded on June 29, 1984, in the recorder's office. However, Gossett's tax sale lien, superior to all other liens against 6415 under IC 6-1.1-24-9(b), was never paid by either Auburn or Sanda.

On the same day, June 29, 1984, the auditor's office mailed a Notice of Tax Sale Redemption or Issuance of Deed by certified mail to the same address it had sent the tax sale notices. This notice was also returned undelivered marked, "moved, not forwardable-forwarding order expired."

When a deed notice is returned, the auditor first checks to determine if the address to which the notice was mailed is the current one in the property system. If so, the phone book, the criss-cross, the computer system, and the property system are all checked to determine if that address is the current one. If no reason can be found to re-mail that notice, it is placed in the audi *312 tor's file, as was done in this case. (R. 515-16). Finally, prior to deeding a property sold at tax sale, the auditor prepares an information sheet bearing the titleholder's name and the parcel number involved and forwards a copy of that sheet to the recorder's office where the parcel is checked for lienholders and mortgagees of record. (R. 506, 508). As to 6415, that procedure was followed. Nothing was found in the recorder's office as to lienholders and mortgagees, and the auditor's records reveal no mortgage holders had filed a request asking to be notified if 6415 had delinquent taxes, was put up for tax sale, or went up for tax deed. (R. 511-12).

On August 15, 1984, the auditor's office executed and delivered a deed to 6415 to Gossett. This deed was recorded August 30, 1984, in the recorder's office. 6415 at that time was valued at $200,000.

Auburn thereafter commenced this litigation by filing a complaint to set aside the tax deed issued to Gossett and to have title to the subject real estate quieted in Sanda, its mortgagor. It named Sanda and Gos-sett as co-defendants. Both Sanda and Gossett then countercelaimed, each to quiet title in himself. The trial court, after a bench trial, divested Gossett of his interest in the subject real estate, and quieted title in Sanda.

Neither OSI, First Federal nor Auburn had actual notice of the tax sale proceeding or the pending issuance of the tax deed to Gossett.

Gossett appeals.

DISCUSSION AND DECISION

Free access — add to your briefcase to read the full text and ask questions with AI

Related

Porter v. Bankers Trust Co. of California
773 N.E.2d 901 (Indiana Court of Appeals, 2002)
Leslie v. State
755 N.E.2d 1147 (Indiana Court of Appeals, 2001)
Metro Holding Co. v. Mitchell
571 N.E.2d 580 (Indiana Court of Appeals, 1991)
Stevens Ex Rel. Stevens v. Indiana Department of Public Welfare
566 N.E.2d 544 (Indiana Court of Appeals, 1991)
Elizondo v. Read
553 N.E.2d 849 (Indiana Court of Appeals, 1990)
Dahnke v. Dahnke
535 N.E.2d 172 (Indiana Court of Appeals, 1989)
Terry v. West
524 N.E.2d 343 (Indiana Court of Appeals, 1988)

Cite This Page — Counsel Stack

Bluebook (online)
514 N.E.2d 309, 1987 Ind. App. LEXIS 3127, Counsel Stack Legal Research, https://law.counselstack.com/opinion/gossett-v-auburn-national-bank-of-auburn-indctapp-1987.