In Re Khoe

255 B.R. 581, 86 A.F.T.R.2d (RIA) 6285, 2000 U.S. Dist. LEXIS 17285, 2000 WL 1566284
CourtDistrict Court, E.D. California
DecidedAugust 17, 2000
DocketCV-F-98-5121 REC
StatusPublished
Cited by2 cases

This text of 255 B.R. 581 (In Re Khoe) is published on Counsel Stack Legal Research, covering District Court, E.D. California primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
In Re Khoe, 255 B.R. 581, 86 A.F.T.R.2d (RIA) 6285, 2000 U.S. Dist. LEXIS 17285, 2000 WL 1566284 (E.D. Cal. 2000).

Opinion

OPINION

COYLE, District Judge.

On August 16, 1999, the court heard oral argument in connection with this appeal.

A. Supplementation of Record and Filing of Post-Rearing Briefs.

Before discussing the merits of this appeal, the court addresses issues raised by the state of the record and the conduct of the appellants.

On August 16, 1999, just minutes before the commencement of oral argument, the Khoes filed several documents. These documents are as follows:

(1) “PLEASE FILE THE KHOES’/Plaintiffs’ PERTINENT DOCUMENTS WITH RESPECT TO DEFENDANTS (Nos:: 1 & 2) IRS et al., the FTB et al. THE VIOLATORS, THE ABUSERS OF THE ‘Judicial Due Process, Process of Law’, THE PROFESSIONAL AND THE EXPERTIES [sic] ‘LIED/LYING UNDER OATH’; THIS IN SUPPORT OF THE Khoes’/Appellants’ ORAL ARGUMENT ON APPEALS” (Doc. 80);
(2) “PLEASE FILE THE KHOES’/Plaintiffs’ PERTINENT DOCUMENTS WITH RESPECT TO DEFENDANTS (Nos:: 1 & 2) IRS et al., the FTB et al. THE VIOLATORS, THE ABUSERS OF THE ‘Judicial *583 Due Process, Process of Law’, THE PROFESSIONAL AND THE EXPERTIES [sic] ‘LIED/LYING UNDER OATH’; THIS IN SUPPORT OF THE Khoes’/Appellants’ ORAL ARGUMENT ON APPEALS” (Doc. 81);
(3) “PLEASE FILE THE KHOES’/Plaintiffs’ PERTINENT DOCUMENTS WITH RESPECT TO DEFENDANTS (Nos:: 1 & 2) IRS et al., the FTB et al. THE VIOLATORS, THE ABUSERS OF THE ‘Judicial Due Process, Process of Law’, THE PROFESSIONAL AND THE EXPERTIES (sic) ‘LIED/LYING UNDER OATH’; THIS IN SUPPORT OF THE Khoes’/Appellants’ ORAL ARGUMENT ON APPEALS” (Doc. 83);
(4) “MEMORANDUM OF MONIES OWED, OWING BY DEFENDANTS (Nos: 1 & 2) the IRS et al., and the FTB et al. IN THE SUMS OF $34,558.48 PLUS 75% THE SAME YOU CHARGED US; PLUS PUNITIVE DAMAGES; THE Defendants (No. 1) the iRS [sic] et al. INTENTIONALLY CONFISCATED THE Khoes’/Plaintiffs’/Appellants HARD-EARNED PAYROLL CHECKS” (Doc. 83).

At oral argument, the Khoes handed to the court a series of documents which are included in the file as document 85. On August 17, 1999, the Khoes filed the following document:

“THE ATTACHMENTS ARE THE Khoes’/Appellants’ ORAL ARGUMENTS AND IT WERE FULLY PREPARED FOR THE AUGUST 16, 1999 IN ROOM 5000 AT 1:30 P.M. HEARING OF THE Khoes’ ORAL ARGUMENT THE COURT ORDER CLEARLY STATED THE ABOVE DATE WAS FOR THE Khoes’/Appel-lants’ ORAL BUT THE Khoes WER-EN’T GIVEN THE CHANCE AND THIS WERE THE SECOND COURT’S ERRORS MADE ON/UPON AND AGAINST THE Khoes’ HUMAN & CIVIL RIGHTS’ VIOLATIONS, WEBSTER BIVENS VS U.S.A., 403 U.S. 388, 91 S.Ct. 1999, 29 L.Ed.2d 619 (1971); Code 18 USC 241, 242; 42 USC Sec 1983; SINCE THE Khoes WER-EN’T GIVEN TO ARGUE ORALLY, THEREFORE THE Khoes Appellants SUBMIT IN WRITING, IS APPLICABLE, ACCEPTABLE, JUSTIFIED, LAWFUL AND LEGAL PURSUANT TO CODE: SEE BELOW FOR ADDITIONAL INFORMATIONS/EXPLA-NATIONS REQUIRED BY LAW:” (Doc. 86).

On August 27, 1999, the Khoes filed the following documents:

(1) “PLEASE FILE THE Khoes’ PERTINENT DOCUMENTS ADDEN-DUMS # s SEE PAGE 2 IN SUPPORT OF THE Khoes’ HOSTILE WITNESSES, NOT BY LIVE PEOPLE BUT BY DOCUMENTATIONS AGAINST THE IRS’ & THE FTB’s NOTICES, LEVIES, LIENS, PLEADINGS, DECLARATIONS OF 12/11/97, 12/22/97 & OTHERS TO PROVE THAT THE IRS et al., & THE FTB et al. HAD LIED/LYING UNDER OATH, WHAT A SHAM Defendants’ COMPUTERS having TOO MANY GLITCHES & WE THE Khoes ARE BEING DEFRAUDED BY THEM et al. Attached: ONE ORIGINAL & THREE COPIES: ” (Doc. 89);
(2) “PLEASE FILE THE Khoes’ PERTINENT DOCUMENTS ADDEN-DUMS # s SEE PAGE 2 IN SUPPORT OF THE Khoes’ HOSTILE WITNESSES, NOT BY LIVE PEOPLE BUT BY DOCUMENTATIONS AGAINST THE IRS’ & THE FTB’s NOTICES, LEVIES, LIENS, PLEADINGS, DECLARATIONS OF 12/11/97, 12/22/97 & OTHERS TO PROVE THAT THE IRS et al., & THE FTB et al. HAD LIED/LYING UNDER OATH, WHAT A SHAM Defendants’ COMPUTERS having TOO MANY GLITCHES & WE THE Khoes ARE BEING DEFRAUDED BY THEM et *584 al. Attached: ONE ORIGINAL & THREE COPIES: ” (Doc. 90);
(3) “PLEASE FILE THE Khoes’ PERTINENT DOCUMENTS ADDEN-DUMS # s SEE PAGE 2 IN SUPPORT OF THE Khoes’ HOSTILE WITNESSES, NOT BY LIVE PEOPLE BUT BY DOCUMENTATIONS AGAINST THE IRS’ & THE FTB’s NOTICES, LEVIES, LIENS, PLEADINGS, DECLARATIONS OF 12/11/97, 12/22/97 & OTHERS TO PROVE THAT THE IRS et al., & THE FTB et al. HAD LIED/LYING UNDER OATH, WHAT A SHAM Defendants’ COMPUTERS having TOO MANY GLITCHES & WE THE Khoes ARE BEING DEFRAUDED BY THEM et al. Attached: ONE ORIGINAL & THREE COPIES: ” (Doc. 91);
(4) “PLEASE FILE THE Khoes’ PERTINENT DOCUMENTS ADDEN-DUMS # s SEE PAGE 2 IN SUPPORT OF THE Khoes’ HOSTILE WITNESSES, NOT BY LIVE PEOPLE BUT BY DOCUMENTATIONS AGAINST THE IRS’ & THE FTB’s NOTICES, LEVIES, LIENS, PLEADINGS, DECLARATIONS OF 12/11/97, 12/22/97 & OTHERS TO PROVE THAT THE IRS et al., & THE FTB et al. HAD LIED/LYING UNDER OATH, WHAT A SHAM Defendants’ COMPUTERS having TOO MANY GLITCHES & WE THE Khoes ARE BEING DEFRAUDED BY THEM et al. Attached: ONE ORIGINAL & THREE COPIES: ” (Doc. 92).

On August 30, 1999, the Khoes filed the following document:

“SUPPLEMENTAL ORAL ARGUMENT OF THE Khoes’ APPELLANTS’ and THE VICTIMS OF THE ABUSERS, THE VIOLATORS OF JUDICIAL DUE PROCESS, DUE OF LAW, AND LIED/LYING UNDER OATH AND HEREINAFTER THE IRS, ‘MEESTER, COLLINS, STIF-FLER, FIELDS, JENNINGS, et al., and THE FTB et al.; THIS IN SUPPORT OF THE Khoes’ OBJECTIONS TO DEFENDANTS’ et al. UNDATED SUP. BRIEF OF APP. FILLED UP WITH FULL OF FRAUDS etc. etc.:” (Doc. 98)

On September 10, 1999, the Khoes filed the following document:

“SUPPLEMENTAL ORALARGUMENT [sic] IN A WRITTEN FORM OF THE Khoes’ APPELLANTS’ and THE VICTIMS OF THE ABUSERS, THE VIOLATORS OF JUDICIAL-DUEPROCESS [sic], DUE PROCES-SOFLAW [sic], ANDLIED/LYINGUN-DEROATH & HEREINAFTER [sic] THE IRS, MEESTER, COLLINGS, STIFFLER, FIELDS, JENNINGS et al., and THE FTB et al.; THIS IS IN SUPPORTOFTHE [sic] Khoes’ OBJECTIONS TO DEFENDANTS’ et al., UNDATED SUPPLEMENTARY BRIEF OF APPELLEES FILLED UP WITH FULL OF FRAUDS etc. & .[sic] ‘INCOHERENT’ (Doc. 100).

On October 5, 1999, the Khoes filed the following document:

“THE ATTACHMENT SUBJECT Ch. 7 DISCHARGED IS IN SUPPORT OF THE Khoes’ OBJECTIONS AGAINST THE IRS’s, FTB’s FRIVOLOUS PENALTY OF $500.00; TAX LIENS; ASSESSMENTS AGAINST THE Khoes’ FOR THE CALENDAR YEARS OF T988, 1989, 1990 1993, 1994, 1995, 1996,1997 AND 1998’s’ AND FINALLY DEFENDANTS IRS & FTB ADMITTED THAT THE Khoes’ CHAPTER 7 WAS FULLY DISCHARGED THE ONLY ISSUE THAT IS STILL PENDING, IS THE Khoes’ ’01/01/93 to 12/31/93’ ‘ASSESSMENT DATE AND THE DOLLAR MOUNT [sic]’ PURSUANT TO 28 USC § 157(a)(E) MUST TURN OVER THIS $46,00.00 [sic] TO THE KHOES, 26 USC IRC § 7701(a)(6) THE U.S. DISTRICT. COURT HAS ITS JURISDICTIONS &

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255 B.R. 581, 86 A.F.T.R.2d (RIA) 6285, 2000 U.S. Dist. LEXIS 17285, 2000 WL 1566284, Counsel Stack Legal Research, https://law.counselstack.com/opinion/in-re-khoe-caed-2000.