In re Dresden

177 F. Supp. 339, 4 A.F.T.R.2d (RIA) 5397, 1959 U.S. Dist. LEXIS 2651
CourtDistrict Court, S.D. New York
DecidedJune 24, 1959
StatusPublished

This text of 177 F. Supp. 339 (In re Dresden) is published on Counsel Stack Legal Research, covering District Court, S.D. New York primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
In re Dresden, 177 F. Supp. 339, 4 A.F.T.R.2d (RIA) 5397, 1959 U.S. Dist. LEXIS 2651 (S.D.N.Y. 1959).

Opinion

FREDERICK yan PELT ERYAN, District Judge.

The Government moves to punish respondent in civil contempt for failure to obey an order of Judge Cashin dated June 10, 1958. This order directed respondent to appear before a Special Agent of the Internal Revenue Service on a specified date to answer questions concerning the tax liability of and the collection of taxes from six named corporations,1 and to produce all books and records of such corporations for examination.

Dresden has produced a substantial volume of books and records of the corporations in question for the Internal Revenue Service. He insists that he has produced all which are available to him and that he has been unable to locate any others despite thorough search.

The Government, on the other hand, while admitting that it has received most of the books and records which it desires, alleges that other crucial records under Dresden’s control were not produced.

There was no substantial conflict in the testimony adduced at the hearing, and the only real dispute is as to the inferences to be drawn from the undisputed evidence. I find the following to be the facts as established by the record:

The six corporations in question were engaged in contract clothing manufacturing in Northern New Jersey. They were successively organized, apparently to succeed one another in this business, and each was in business for about a year. None of them are now in business and one, A. D. Valentine & Company, is in bankruptcy in this court.

Respondent Dresden, a member of the bar who is not practicing, was an officer [341]*341of all six corporations and appears to have controlled them.

In the spring of 1958 Special Agent Goldstein of the Internal Revenue Service, before whom Judge Cashin’s order directed Dresden to appear, was carrying on an investigation into the withholding and social security tax liabilities of these six corporations. Goldstein met Dresden at the factory of Bonnie Tweed Corporation in Garfield, New Jersey, on March 24, 1958. There were apparently no operations going on and Dresden was the only one there.

Goldstein asked to see the corporate books and records of the six corporations. Dresden told him that he had virtually none on the premises but would send some over later that day. He invited Goldstein to look around and Goldstein found the payroll book of Bonnie Tweed Corporation and took it with him.

Some time later, pursuant to Dresden’s directions, one of his employees delivered a package of records to Goldstein at the Dante Fashions, Inc. office in Paterson, New Jersey, consisting of the general journal, general ledger, cash book and two checkbooks of that corporation.

Subsequently Goldstein telephoned Dresden and requested that he appear at the Internal Revenue Office in Newark on April 14, 1958 and bring with him all records of the corporations which had not been produced up to then. Dresden appeared on that date without any records and his testimony was taken by Agent Goldstein.2

Thereupon Goldstein served an Internal Revenue Service summons upon Dresden requiring him to appear at the office of the Service on May 1, 1958 with “all corporate books & records of the [six] corporations including cancelled checks, bank statements and payroll records”. It is undisputed that Dresden failed to appear or to produce any records on that date, but there is dispute as to whether he communicated with Goldstein to inform him that he could not be there.

Upon Dresden’s non-appearance on May 1 the United States Attorney for New Jersey informed him by letter that he could be punished for contempt for his failure to comply with the Internal Revenue Service summons.

On June 10, 1958, upon the application of the United States Attorney for this district, Judge Cashin of this court issued an order directing that Dresden

“ * * * appear before Special Agent Jacob Goldstein * * * at 1:00 P.M., June 16, 1958, to answer questions relating to the tax liability and/or the collection of the tax liability of [the six corpora- . tions] and bring with him and produce for examination all corporate books and records of the aforementioned corporations, including can-celled checks, bank statements and payroll records * *

Whether or not Dresden disobeyed this order is the issue to be determined here.3

Judge Cashin’s order was served upon Dresden and it was agreed by telephone that the return date would be postponed by one day to June 17, 1958.

On June 17 respondent appeared at the Newark office of the Internal Revenue Service. He brought with him the employee earning records of Janie, Inc. and [342]*342the payroll journal of Dante Fashions, Inc. Goldstein again asked for all the corporate records of the six corporations which he had not yet received. Dresden said that he would try to find them.

On July 30, 1958 Dresden produced six cartons of records. These included the time cards, price cards, cancelled checks, and bank statements of Dante Fashions, the time and price cards of Gary Ross and Janie, the payroll checks, W-2d’s for 1956 and employee earning records of Gary Ross, and cancelled checks, bank statements, time cards and copies of sales invoices of Rosen De Mille. He announced that he had no further records of the corporations and at a subsequent appearance at the office of the United States Attorney on August 12, 1958 again maintained that he had no further records.

The Government contends that the records which Dresden produced were not complete and that some important records were never produced, that many of the employee earning records and time-cards which were produced contained no-addresses for the employees, and that these addresses were necessary in order for it to pursue its investigation of the-withholding tax liabilities of the six corporations.4

However, in addition to the records produced by Dresden, the Service obtained a number of records from other sources. Mehr, an officer of Gary Ross and Janie, turned over two volumes of large payroll sheets of these corporations, apparently on Dresden’s instructions. Records of A. D. Valentine, which was in bankruptcy in this court, and of Bonnie-Tweed, were received from the accountant for the creditors committee of these-corporations. Missing bank statements of Dante Fashions were obtained directly from Manufacturers Trust Company. The payroll records of Dante Fashions-for 1957 and 1958 were obtained shortly before the contempt hearing from Mrs. [343]*343Weinstein, the bookkeeper who had taken them home in April 1958, with respondent’s knowledge, to work on them.

Moreover, some of the records which the Government claims to be missing may never have been in existence, such as income tax returns for 1958, which were not due until April 15, 1959, and 1957 returns for a number of the corporations which do not seem to have ever been prepared. The Government did not show that it had fully exhausted the possibilities of obtaining records from the trustee in bankruptcy of A. D. Valentine, and the stock certificate books and minute books of various of the corporations, which' seem to have been pro forma at best appear to be in the hands of the attorney who organized these corporations who is not now practicing in New York but is teaching in Florida.

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Bluebook (online)
177 F. Supp. 339, 4 A.F.T.R.2d (RIA) 5397, 1959 U.S. Dist. LEXIS 2651, Counsel Stack Legal Research, https://law.counselstack.com/opinion/in-re-dresden-nysd-1959.