Peterson v. United States

511 F. Supp. 250, 47 A.F.T.R.2d (RIA) 1353, 1981 U.S. Dist. LEXIS 11591
CourtDistrict Court, D. Utah
DecidedMarch 10, 1981
DocketC 81-0021J
StatusPublished
Cited by13 cases

This text of 511 F. Supp. 250 (Peterson v. United States) is published on Counsel Stack Legal Research, covering District Court, D. Utah primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Peterson v. United States, 511 F. Supp. 250, 47 A.F.T.R.2d (RIA) 1353, 1981 U.S. Dist. LEXIS 11591 (D. Utah 1981).

Opinion

MEMORANDUM OPINION

JENKINS, District Judge.

The parties’ cross-motions for summary judgment and the defendants’ motion to dismiss came on for hearing before this Court on February 6, 1981. Each motion was supported by a memorandum of authorities. This Court, having reviewed the pleadings and memoranda herein, and having heard and considered the arguments of the parties ruled and does now rule on the aforementioned motions as follows:

I. DISMISSAL OF THE COMPLAINT AS AGAINST MS. JOYCE SIMPKINS INTERNAL REVENUE SERVICE OFFICER

On its face, the plaintiff’s complaint alleges a claim arising under 26 U.S.C. § 7426, which provides in pertinent part: (a) Actions permitted.—

(1) Wrongful levy. — If a levy has been made on property or property has been sold pursuant to a levy, any person (other than the person against whom is assessed the tax out of which such levy arose) who claims an interest in or lien on such property and that such property was wrongfully levied upon may bring a civil action against the United States in a district court of the United States. Such action may be brought without regard to whether such property has been surrendered to or sold by the Secretary [of the Treasury] or his delegate.

Subsection (d) of section 7426 makes it abundantly clear that actions under this section are to be brought against the United States rather than individual officers of the federal government:

(d) Limitation on rights of action. — No action may be maintained against any officer or employee of the United States (or former officer or employee) or his personal representative with respect to any acts for which an action could be maintained under this section.

Consequently, the complaint was dismissed by Order of this Court entered on February 17, 1981, as against Internal Revenue Service Officer Joyce Simpkins. Plaintiff did not oppose the motion to dismiss.

II. THE MOTIONS FOR SUMMARY JUDGMENT

(a) Factual Background

It appears to this Court that the following factual matters are without substantial dispute:

1. On August 6, 1976, a promissory note and a trust deed securing that note were *253 executed by Gordon R. Lindeman and Ruth Lindeman in favor of the Lockhart Company, plaintiff’s predecessor in interest. The trust deed was recorded August 12, 1976, in Book 4299, at Page 257 as Entry No. 2844789 of the records of the Salt Lake County Recorder, located at Salt Lake City, Utah.

2. The defendant United States of America, by and through its agency, the Internal Revenue Service, recorded notices of federal tax lien in the records of the Salt Lake County Recorder’s Office affecting property of the taxpayer Gordon R. Lindeman, dba G. R. Lindeman Co. on several occasions: November 30, 1976; March 11, 1977; September 21, 1977; February 21, 1979; May 7, 1979; and January 17, 1980.

3. Among the property of Gordon R. Lindeman at these times was the tract of real property described as follows:

All of Lot 45, WHITE CITY NO. 6 SUBDIVISION, according to the official plat thereof on file and of record in the office of the Salt Lake County Recorder.

This property was the subject of the trust deed executed by the Lindemans in favor of the Lockhart Company on August 6, 1976.

4. On May 22,1978 Gordon R. Lindeman and Ruth L. Lindeman executed another and subsequent trust deed in favor of the Lockhart Company on the tract of real property, securing a second promissory note executed on the same day. This trust deed was recorded at the Salt Lake County Recorder’s Office on May 31, 1978, in Book 4682, at Page 30, as Entry No. 3116177 of the records of the County Recorder.

5. On May 31, 1978, Western States Title Company, trustee, executed a Deed of Reconveyance of the August 6, 1976 trust deed to the Lindemans which was recorded on the same day in Book 4682, at Page 29, as Entry No. 3116176 of the records of the Salt Lake County Recorder.

6. On its face, the trust deed executed May 22,1978 secured a different and larger sum of indebtedness evidenced by a different promissory note than did the trust deed executed on August 6, 1976.

7. Both of the trust deed instruments described above included in their statement of purposes the purpose of securing:

(3) the payment of such additional loans or advances as hereafter may be made to Trustor, or his successors or assigns, when evidenced by a promissory note or notes reciting that they are secured by this Trust Deed, ... (emphasis added)

8. Because of an apparent default by the Lindemans in its payment to Lockhart, a “Notice of Default and Election to Sell Under Deed of Trust” was recorded on April 15, 1980, by W. Clark Burt, the duly appointed successor trustee under the trust deed executed May 22,1978, (emphasis added) giving notice of the trustee’s election to sell the real property in question to effect payment of the 1978 note. This notice was recorded in Book 5089, at Page 610, as Entry No. 3423622 of the records of the Salt Lake County Recorder.

9. Notice of the intended sale at public auction on August 19, 1980, at the Courts Building, Salt Lake City, was published in the Salt Lake Times on July 25, August 1 and August 8, 1980. No notice of the intended sale was given in writing, by registered or certified mail or by personal service, not less than 25 days prior to that sale, to the Secretary of the Treasury or his authorized delegate.

10. The plaintiff, Glade A. Peterson, and Home Savers, Inc. were the purchasers at the trust deed sale of the interest in the Lindemans’ property reflected in the trust deed executed May 22, 1978.

11. The Internal Revenue Service subsequently gave notice of an intention to sell the property in question pursuant to its recorded lien, such sale to be held on January 15, 1981.

12. Plaintiff filed his complaint and motions for a temporary restraining order and preliminary injunction, commencing the above-entitled proceeding, on January 9, 1981 (TRO), January 14,1981 (PI), and January 15, 1981 (C). Hearings were held before this Court on January 14 and 15, 1981, at which time a hearing on the merits was *254 scheduled for February 6, 1981, and the proposed sale of property was rescheduled for February 11, 1981.

(b) Priority and Effect of the Federal Tax Lien Recorded Prior to July 19, 1980

Plaintiff Glade A. Peterson asserts in his complaint that the interest in the Lindeman property that he purchased at the August 19,1980 trustee’s sale was purchased free of the recorded federal tax lien affecting the Lindeman property! Peterson argues that his interest in the property derives from the trust deed executed by the Lindemans on August 6, 1976, and that the later documents affecting that property amount to-merely a renewal of the security interest in real property reflected in that original trust deed.

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Bluebook (online)
511 F. Supp. 250, 47 A.F.T.R.2d (RIA) 1353, 1981 U.S. Dist. LEXIS 11591, Counsel Stack Legal Research, https://law.counselstack.com/opinion/peterson-v-united-states-utd-1981.