Professional Technical Services, Inc. v. Internal Revenue Service (In Re Professional Technical Services, Inc.)

71 B.R. 946, 4 Bankr. Rep (St. Louis B.A.) 3600, 1987 Bankr. LEXIS 499
CourtUnited States Bankruptcy Court, E.D. Missouri
DecidedMarch 31, 1987
Docket13-46983
StatusPublished
Cited by29 cases

This text of 71 B.R. 946 (Professional Technical Services, Inc. v. Internal Revenue Service (In Re Professional Technical Services, Inc.)) is published on Counsel Stack Legal Research, covering United States Bankruptcy Court, E.D. Missouri primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Professional Technical Services, Inc. v. Internal Revenue Service (In Re Professional Technical Services, Inc.), 71 B.R. 946, 4 Bankr. Rep (St. Louis B.A.) 3600, 1987 Bankr. LEXIS 499 (Mo. 1987).

Opinion

MEMORANDUM OPINION

BARRY S. SCHERMER, Bankruptcy Judge.

Professional Technical Services, Inc., (hereinafter “PTS”), filed a Voluntary Chapter 11 Petition on October 3, 1986. PTS provides janitorial services to businesses in the St. Louis and Jefferson City, Missouri areas. On October 27, 1986 PTS filed a Complaint For Turnover requesting turnover of certain -receivables and cash accounts constituting property of the estate which were withheld or frozen pursuant to Internal Revenue Service (hereinafter the “IRS”) Notices of Tax Lien, including: 1

1.) $52,066.95 2 owed PTS by the Government Services Administration (hereinafter the “GSA”) for pre-petition services performed by PTS at 210 N. Tucker and 1520 Market St. in St. Louis, Missouri;
2.) $8,510.61 owed PTS by the State of Missouri Division of Employment Security (hereinafter the “DES”) for pre-petition services performed by PTS at 421 E. Dunklin St., Jefferson City, Missouri;

The PTS Complaint further alleges that the interest of the IRS is inferior to the PTS interest in the aforementioned property since said tax liens were not fully perfected on October 3, 1986 and, additionally such property is necessary for its effective reorganization. On November 12, 1986, PTS filed a Supplemental Complaint requesting turnover of the GSA receivable and alleging that the Department of Labor (hereinafter the “DOL”) claims an interest in the receivable due from GSA ($52,066.95) because it notified the GSA of its claim through a withholding letter dated October 1. 1986.

On December 3, 1986, the United States of America filed its Answer on behalf of the IRS 3 denying that PTS is entitled to the aforementioned receivables and accounts, and further denying that the inter *948 est of the IRS in said funds is inferior to that of PTS. The IRS alternatively requested that if turnover is granted it be afforded adequate protection of its interest in the receivables.

On December 4, 1986, the United States of America filed an Answer on behalf of the DOL, and the GSA, 4 in which it denied that the interest of PTS in the aforementioned receivables and accounts was superi- or.

The DES filed its Answer to the PTS Complaint on December 3, 1986, denying PTS’ entitlement to the receivables under the contract between PTS and the DES. The Answer of the DES further asserted that PTS owed the DES $16,133.36 for pre-petition unpaid employer contributions taxes, and that PTS agreed to pay the DES $2,500.00 per month from July 1986 until such debt was extinguished.

FACTS

I.PTS v. GSA

1.) The GSA contracted with the SBA to obtain janitorial and maintenance services for the federal buildings located at 1520 Market Street, St. Louis, Missouri and 210 North Tucker, St. Louis, Missouri. The SBA subcontracted with PTS for the provision of those janitorial services.

2.) The GSA currently has accounts payable due PTS in the amount of $32,124.72 for services performed under contract number GS-06P86GXC0061 at 210 North Tucker during August and September, 1986.

3.) The GSA currently has accounts payable due PTS in the amount of $19,942.23 for services performed under contract number GS-06P7560 at 1520 Market Street during August and September, 1986.

4.) The GSA has withheld payment of the aforementioned accounts payable, totaling $52,066.95 pursuant to: (1) a Notice of Levy (Government Exhibit N) served upon it by the IRS dated September 23, 1986, and stamped “Received” by the GSA September 25, 1986; and (2) a withholding letter issued by the DOL (Government Exhibit P), dated October 1,1986 and stamped “Received” by the GSA on October 2, 1986.

II. PTS v. IRS

1.) Prior to October 3, 1986, the IRS made assessments against PTS (Government Exhibits A, B, C, and D) for unpaid Federal Insurance Contributions Act (FICA, form 941) taxes and Federal Unemployment Tax Act (FUTA, form 940) taxes for an amount which the Debtor stipulates (Plaintiffs Trial Brief p. 2) were $87,-870.56.

2.) The IRS sent a Notice of Levy dated September 23, 1986 (Government Exhibit N) to the GSA pursuant to the aforementioned debts.

III. PTS v. DOL

1.) Prior to October 3, 1986, the DOL through Mr. Sheilds, (a Compliance Officer with the Wage and Hour Division of the DOL) conducted an investigation of PTS’ payroll records.

2.) As a result of said preliminary investigation the DOL found PTS liable to employees for $38,240.65 in wages not paid in August and September, 1986, which were earned by services employees performed at 210 North Tucker and 1520 Market Street.

3.) The DOL determined the aforementioned non-payment of employee wages to be a violation of the Service Contract Act of 1965, 41 U.S.C. § 351 et seq.

4.) Pursuant to 41 U.S.C. § 351 et seq. the DOL issued a withholding letter dated October 1, 1986 (Government Exhibit P) requesting the GSA to withhold $38,240.65 of the amount due PTS for services performed at 210 North Tucker and 1520 Market Street.

5.) Pursuant in part to the aforementioned letter dated October 1, 1986, the GSA is withholding $52,066.95 of the amount due PTS.

IV. PTS v. DES

1.) As of October 3, 1986:
a.) The DES owed PTS $8,510.61 for services performed in September, 1986 at the State Office Building (DES) located *949 at 421 E. Dunklin Street, Jefferson City, Missouri.
b.) PTS owed DES more than $8,510.61 for unpaid pre-petition unemployment taxes.

JURISDICTION

This Court has jurisdiction over the parties and subject matter of this proceeding pursuant to 28 U.S.C. §§ 1334, 151 and 157 and Local Rule 29 of the United States District Court for the Eastern District of Missouri. This is a “core proceeding” which the Court may hear and determine pursuant to 28 U.S.C. § 157(b)(2)(E). DISCUSSION

Pursuant to Section 1107(a) of the Bankruptcy Code (hereinafter the “Code”), “a debtor in possession shall have all the rights, ... powers, ... functions and duties, ... of a trustee serving in a case under this Chapter.” 11 U.S.C.

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Bluebook (online)
71 B.R. 946, 4 Bankr. Rep (St. Louis B.A.) 3600, 1987 Bankr. LEXIS 499, Counsel Stack Legal Research, https://law.counselstack.com/opinion/professional-technical-services-inc-v-internal-revenue-service-in-re-moeb-1987.