In Re Starkey

49 B.R. 984, 1984 Bankr. LEXIS 6226
CourtDistrict Court, D. Colorado
DecidedFebruary 22, 1984
DocketBankruptcy 81 B 03684 C
StatusPublished
Cited by22 cases

This text of 49 B.R. 984 (In Re Starkey) is published on Counsel Stack Legal Research, covering District Court, D. Colorado primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
In Re Starkey, 49 B.R. 984, 1984 Bankr. LEXIS 6226 (D. Colo. 1984).

Opinion

FINDINGS, CONCLUSIONS AND ORDER ON OBJECTION OF TRUSTEE TO CLAIMS FILED BY DEBTORS

PATRICIA ANN CLARK, Bankruptcy Judge.

The matter before the Court is the objection of the trustee, Gene Fischer, to claims filed by the debtors, Franklin Eugene Starkey and Bernette Bethel Starkey, on behalf of the United States of America and the State of Colorado for income tax liabilities for the years of 1978, 1979, 1980, and 1981. The trustee contends that the debtors’ right to file claims on behalf of creditors extends only to the bar date for claim filing or alternatively until a reasonable time thereafter, a condition not met by these debtors. In contrast, the debtors assert that pursuant to 11 U.S.C. § 501(c) a debt- or’s right to file a claim on behalf of a non-filing creditor continues after the deadline for claim filing and that here the debtors’ filing of claims was made within a reasonable time after the amounts owing to the United States and Colorado were known to the debtors. The debtors also contend that liability for the taxes in question did not arise until after the bankruptcy filing, as contemplated by 11 U.S.C. § 502(i), because the debtors were unaware of their tax liability until that time.

The facts are as follows. On July 27, 1981, the debtors filed a petition for relief under Chapter 7 of the Bankruptcy Code. The Order of Discharge was entered on February 1, 1982. The last date for filing claims was March 22, 1982. On January 4, 1983, the debtors filed claims for income taxes due to the United States and the State of Colorado for the years 1978, 1979, 1980, and 1981. The State of Colorado filed a proof of claim for 1978 taxes in the amount of $6,012.07 on January 27, 1983.

At the hearing held on January 17, 1984, George Foreman, a certified public accountant retained by the debtors in approximately 1979, testified to the circumstances surrounding the preparation and filing of the debtors’ state and federal tax returns. Mr. Foreman testified that he prepared the debtors’ federal and state income tax returns for the years 1978, 1979, 1980, and 1981.

In the course of his testimony, Mr. Foreman referred to copies of the completed tax returns and to records kept in his firm’s ordinary course of business to substantiate the dates of his work for and his contacts with Mr. Starkey. The sequence of Mr. Foreman’s work was as follows. Mr. Fore *986 man’s records show October 8, 1980 as the first date he performed work on the debtors’ 1978 income tax returns. These state and federal income tax returns were completed and transmitted to Mr. Starkey on January 21, 1981. At that time Mr. Foreman advised Mr. Starkey that federal tax in the amount of $28,699 and state tax in the amount of $4,603 was due for 1978. Mr. Foreman also testified that he would not have completed the 1978 tax returns if he had not had all of the information necessary for those returns. Prior to his preparation of the 1978 tax returns, Mr. Foreman obtained copies of returns for years prior to 1978 to see if there were any carry-forward items for those years. The Court received no testimony from Mr. Foreman indicating that he recalculated or amended the debtors’ income tax returns for any year prior to 1978. Mr. Foreman further testified that he had no knowledge of whether the 1978 returns were delayed in filing beyond January 21, 1981.

Mr. Foreman testified that he was retained to prepare the debtors’ 1979 income tax returns on August 25, 1981. Mr. Foreman completed these returns on October 13, 1982. Mr. Foreman stated that the information necessary to compile the 1979 returns was given to him by Mr. Starkey, but his records did not indicate when he received this information. Mr. Foreman’s records indicated that the first substantial time entry for preparation of the 1979 returns was in the first two weeks of October, 1982. Two other contacts between Mr. Foreman and Mr. Starkey occurred between August 25, 1981 and the beginning of October of 1982. Mr. Foreman stated that his records indicated contacts with Mr. Starkey on September 15,1981 and November 13, 1981, but that there was no indication that these contacts involved the 1979 returns. From the beginning of his professional relationship with Mr. Starkey, Mr. Foreman performed services other than tax return preparation for Mr. Starkey. Mr. Foreman testified that he did not know why it took Mr. Starkey over a year from the initial contact to provide information for the preparation of the 1979 returns, but that he did not have any part in the delay. Mr. Foreman knew that the debtors filed bankruptcy in July of 1981. However, he did not assist in the preparation of schedules nor was he asked for any information.

Mr. Foreman was retained to prepare the debtors’ 1980 income tax returns on October 11, 1982. The 1980 returns were prepared concurrently with the 1979 returns and were also completed on October 13, 1982. Mr. Foreman testified that he communicated the completion of the 1979 and the 1980 returns to Mr. Starkey sometime between October 13, 1982, the date Mr. Foreman signed the returns, and November 29, 1982, the date that his records indicate Mr. Starkey’s first payment on the final invoice.

November 15, 1982 was the first time entry for the preparation of the debtors’ 1981 tax returns. Mr. Foreman testified that the majority of information for these returns was received between December 20, 1982 and January 11, 1983. On January 11, 1983 Mr. Foreman knew the amount of the debtors’ state and federal income tax liability for 1981. Mr. Foreman’s records indicated that he hand delivered the 1981 returns to Mr. Starkey on January 18, 1983.

Franklin Starkey was questioned concerning the filing of income tax returns for years subsequent to 1977. Mr. Starkey testified that a Mr. Halliburton prepared the debtors’ 1977 income tax returns sometime in late 1979 or early 1980. After the 1977 return was completed, Mr. Starkey discovered that Mr. Halliburton had erred in preparing the 1977 returns by not carrying back the debtors’ 1977 loss. It was Mr. Starkey’s belief that Mr. Halliburton’s error resulted in an increase in the debtors’ tax liability for that year. Income tax returns for 1978, 1979, and 1980 would have been affected by the error in the 1977 return.

There was some conflict in Mr. Starkey’s testimony as to why the debtors’ delayed in the filing 1978 tax returns and failed to disclose the amount of their 1978 tax liability on their bankruptcy schedules filed in July of 1981. Mr. Starkey testified that *987 when he filed the bankruptcy schedules his attorney, James Wilson, told him to list the amount of his tax liability to the United States and Colorado as unknown. Mr. Starkey indicated that he was, at the time of the bankruptcy filing, still uncertain as to whether his 1977 return accurately reflected his tax liability for that year. There was some indication that Mr. Starkey attributed the delay in the filing of the 1978 returns and in the preparation of the 1979 return to his uncertainty concerning the 1977 returns. Mr. Starkey offered no further explanation for his delay in providing information to Mr. Foreman for the preparation of his 1979 income tax returns.

Upon cross-examination, Mr.

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Bluebook (online)
49 B.R. 984, 1984 Bankr. LEXIS 6226, Counsel Stack Legal Research, https://law.counselstack.com/opinion/in-re-starkey-cod-1984.