In Re St. Augustine Gun Works, Inc.

75 B.R. 495, 1987 Bankr. LEXIS 932
CourtUnited States Bankruptcy Court, M.D. Florida
DecidedJune 16, 1987
DocketBankruptcy 86-158-BK-J-11
StatusPublished
Cited by14 cases

This text of 75 B.R. 495 (In Re St. Augustine Gun Works, Inc.) is published on Counsel Stack Legal Research, covering United States Bankruptcy Court, M.D. Florida primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
In Re St. Augustine Gun Works, Inc., 75 B.R. 495, 1987 Bankr. LEXIS 932 (Fla. 1987).

Opinion

FINDINGS OF FACT AND CONCLUSIONS OF LAW

GEORGE L. PROCTOR, Bankruptcy Judge.

A. Findings of Fact

1. Debtor, St. Augustine Gun Works, Inc., is a Florida corporation licensed by the Bureau of Alcohol, Tobacco and Firearms (“BATF”) to manufacture firearms and other destructive devices. (Claimant’s Exh. 2). Debtor’s president, William Reynolds, testified on behalf of the debtor at the hearing on debtor’s Objection to Claim.

2. Debtor engaged in, or intended to engage in the business of manufacturing National Firearms Act (“NFA”) firearms for the period beginning July 1, 1983 through June 30, 1986 (fiscal year 1984, 1985, and 1986). Claimant’s Exhibits 2, 3, 4 and 5. Transcript (“Tr.”) p. 39, 51.

3. BATF Inspector Joel Trestik conducted a compliance inspection of debtor at his business premises during the period February, 1986 through August, 1986. Tr. p. 71. Inspector Trestik discovered 9 violations of the firearms regulations, including failure to have the federal firearms license available for inspection, and failure to produce evidence that debtor had paid his special occupational tax as a firearms manufacturer. Tr. p. 74-80. Inspector Trestik recommended that assessments of income tax be made for taxable events pursuant to 26 U.S.C. §§ 5801(2), 5811, 5821, more particularly described in paragraph 4, infra. Tr. p. 84-92.

4. On or about September 17, 1986, the BATF filed on behalf of the United States, a Proof of Claim for Internal Revenue Taxes, an unsecured priority claim, under 11 U.S.C. § 507(a)(6), for unpaid taxes, plus penalties and interest as follows:

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Debtor served an Amended Objection to Claim on February 12, 1987.

5. On or about August 25, 1983, debtor submitted its Form 11, with a $500.00 check, for payment of the special occupational tax to the Internal Revenue Service. Claimant’s Exh. 1. However, the $500.00 check was dishonored, and debtor did not pay the special occupational tax until January 6, 1984. Id.) Tr. p. 151, 157.

6. Debtor never filed Form 11 or paid the special occupational tax for the period *497 beginning July 1, 1984 through June 30, 1985 (fiscal year 1985). Claimant’s Exh. 1; Tr. p. 159.

7. Debtor never filed Form 11 or paid the special occupational tax for the period beginning July 1, 1985 through June 30, 1986 (fiscal year 1986). Claimant’s Exh. 1; Tr. p. 159.

8. Debtor produced no evidence, other than verbal testimony, that it filed its Forms 11 and paid its Special Occupational Tax for fiscal year 1985 and fiscal year 1986. Tr. p. 159.

9. On September 3, 1983, debtor submitted to the BATF an AFT Form 2, to register one submachine gun as a firearm required to be registered under the NFA. Debtor’s Exh. 3. This registration was approved by the BATF and debtor never took any steps to revoke or amend this approved registration. Tr. p. 41-43. Debtor testified that this item was a NFA firearm. Tr. p. 42. Debtor contended that this item was similar to one unidentified item of the 107 items listed as a DF-9 on Claimant’s Exh. 5, which was rejected for registration in 1986, as not being a NFA firearm. Tr. p. 168-9. Debtor produced no evidence other than an oral assertion to support this contention, and it is rejected as unsupported by the record.

10. On October 9, 1984, debtor submitted to the BATF an AFT Form 2, to register one colt machinegun as a NFA firearm. Debtor’s Exh. 3. This registration was approved by the BATF and debtor never took any steps to amend or revoke this registration. Tr. p. 41-43. Debtor described this term as a receiver and a frame and affirmed that it was a Title II weapon. Tr. p. 21, 43. Debtor contended that this item was similar to Exhibit 4, described as a receiver, which the BATF refused to register as a Title II weapon in June, 1986, because it was not a manufactured NFA firearm. Tr. p. 21, 23, 55. Debtor produced no evidence in support of this contention other than this oral assertion, and that contention is rejected as unsupported by the evidence.

11. On December 13, 1984, debtor submitted to the BATF, two AFT Forms 2, to register twenty (20) items described as sub-machineguns, frames only, as firearms required to be registered under the NFA. Debtor’s Exh. 3. The registration was approved by the BATF and debtor never took any steps to revoke or amend this registration. Tr. p. 41-43, 164. At the hearing, debtor described these items as receivers and affirmed that these twenty (20) items were Title II weapons. Tr. p. 25, 44. Debtor contented that these twenty (20) items were similar to debtor’s exhibits 5 and 6, and that under the definition contained in Exhibit 11, these items would not be considered frames or receivers. Tr. p. 25-8, 55. Debtor introduced no evidence to support the contention that debtor’s exhibits 5 and 6 were part of the 323 items rejected for registration referred to in debt- or’s exhibit 11, and no evidence other than an oral assertion that the twenty (20) registered items were similar to debtor’s exhibits 5 and 6. These contentions are rejected as unsupported by the evidence. Debtor also contended that one of these twenty (20) registered items, Serial Number 1009D, was similar to one of the 323 rejected items on Claimant’s Exh. 5, and that some of these twenty (20) items were similar to 323 items rejected for registration by the BATF. Tr. p. 162-3, 173. Debtor introduced no evidence other than oral assertions in support of these contentions, and they are rejected as unsupported by the evidence.

12.On December 14, 1984, debtor submitted to the BATF an ATF Form 2, to register two items described as submachi-neguns as firearms required to be registered under the NFA. Debtor’s Exh. 3. This registration was approved by the BATF and debtor never took any steps to amend or revoke this registration. Tr. p. 41-43. Debtor testified that these items were frames and affirmed that they were Title II firearms. Tr. p. 29, 45. Debtor contended that these items were similar to debtor’s exhibits 5 and 6. Tr. p. 28-9. Debtor introduced no evidence to support this contention other than an oral assertion, and it is rejected as unsupported by the evidence.

*498 13. On December 24, 1984, debtor submitted to the BATF an ATF Form 2 with a blueprint, to register one item described as an SKS conversion kit as a NFA firearm. Debtor’s Exh. 3; Tr. p. 29. This registration was approved by the BATF and debtor never took any steps to amend or revoke this approved registration. Tr. p. 41-43, 167. Debtor described this item as a conversion kit, for the purpose of converting a semi-automatic to a fully automatic rifle, and affirmed that this item was a Title II firearm. Tr. p. 29-30, 45. Debtor contended that this item corresponded to the item pictured in debtor’s exhibit 10, which was identical to the 99 conversion kits debtor attempted to register in April, 1986, for which no plans were submitted. Tr. p. 32, 166-8. Debtor introduced no evidence other than an oral assertion to support these contentions, and they are rejected as unsupported by the evidence.

14.

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Cite This Page — Counsel Stack

Bluebook (online)
75 B.R. 495, 1987 Bankr. LEXIS 932, Counsel Stack Legal Research, https://law.counselstack.com/opinion/in-re-st-augustine-gun-works-inc-flmb-1987.