State ex rel. Beller Schad & Diamond, P.C. v. Ritz Camera Centers, Inc.

CourtAppellate Court of Illinois
DecidedOctober 5, 2007
Docket1-05-1059 Rel
StatusPublished

This text of State ex rel. Beller Schad & Diamond, P.C. v. Ritz Camera Centers, Inc. (State ex rel. Beller Schad & Diamond, P.C. v. Ritz Camera Centers, Inc.) is published on Counsel Stack Legal Research, covering Appellate Court of Illinois primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
State ex rel. Beller Schad & Diamond, P.C. v. Ritz Camera Centers, Inc., (Ill. Ct. App. 2007).

Opinion

1-05-1059

FIFTH DIVISION October 5, 2007

No. 1-05-1059

THE STATE ex rel. BEELER SCHAD AND DIAMOND, ) Appeal from the P.C., ) Circuit Court of ) Cook County Plaintiffs-Appellees, ) ) v. ) ) RITZ CAMERA CENTERS, INC., and RITZ ) 02 L 869 INTERACTIVE, INC., and WOLF CAMERA, INC., ) ) dELiA*s CORP., ) 02 L 1435 ) NBTY, INC., and VITAMIN WORLD, INC., and ) 02 L 4462 VITAMIN WORLD ONLINE, INC., ) ) ANTHROPOLOGIE, INC., ANTHROPOLOGIE ) 02 L 4464 DIRECT, LLC, and URBAN OUTFITTERS DIRECT, ) LLC, ) ) MTS INCORPORATED, and TOWER DIRECT LLC, ) 02 L 4466 ) PACIFIC SUNWARE OF CALIFORNIA, INC., and ) 02 L 5023 PACSUN.COM, ) ) PETsMART, INC., PETsMART.COM, and PETsMART ) 02 L 5025 DIRECT, ) ) BASSNET, INC., G.H. BASS & CO., IZOD ) 02 L 5824 CORPORATION, IZOD.COM, INC., and PHILLIPS ) VAN-HEUSEN CORPORATION, ) ) RETAIL BRAND ALLIANCE, INC., d/b/a CASUAL ) 02 L 5827 CORNER GROUP, ) 1-05-1059

PRESIDIO RETAIL, INC., d/b/a ARMANI EXCHANGE, ) 02 L 6312 ) HALLMARK CARDS, INC., ) 02 L 6702 ) THE PFALTZGRAFF COMPANY, ) 02 L 7528 ) HOT TOPIC, INC., ) 02 L 7529 ) BASS PRO, INC., BASS PRO OUTDOOR WORLD, ) 02 L 7530 L.L.C., BASS PRO OUTDOORS ONLINE, L.L.C., and ) THREE JOHNS COMPANY, a/k/a BASS PRO SHOPS, ) INC., NEW BALANCE ATHLETIC SHOE, INC., ) ) NEW BALANCE WEB EXPRESS, ) 02 L 8234 ) BOOKS-A-MILLION, INC., BOOKSAMILLION.COM, ) 02 L 8235 INC., ) ) 1-800-FLOWERS.COM, INC., ) 02 L 10462 ) MAIDENFORM, INC., ) 02 L 10913 ) TUPPERWARE.COM, INC., ) 02 L 12900 ) AMAZON.COM, INC., BORDERS GROUP, INC., ) 03 L 185 BORDERS ONLINE, INC., TOYSRUS, INC., and ) TOYSRUS.COM, ) ) EB CATALOG CO., INC., EB WORLD.COM, INC., and ) 03 L 1163 ELECTRONICS BOUTIQUE HOLDING CORP., ) ) SPENCER GIFTS ONLINE, INC., UNIVERSAL ) 03 L 2506 STUDIOS, INC., and UNIVERSAL STUDIOS ON-LINE, ) INC., ) ) STUART WEITAMAN, INC., and ) 03 L 2931 ) GATEWAY, INC., f/k/a GATEWAY 2000, ) 03 L 3071 ) Defendants-Appellants. ) Honorable ) Ronald F. Bartkowicz, ) Judge Presiding.

2 1-05-1059

JUSTICE GALLAGHER delivered the opinion of the court:

In this Illinois Supreme Court Rule 308 petition (155 Ill. 2d R. 308), we are asked to

answer six certified questions dealing with a claim brought under the Illinois Whistleblower

Reward and Protection Act (Act) (740 ILCS 175/1 et seq. (West 2002)), filed by Beeler Shad &

Diamond as a relator on behalf of the State of Illinois. The underlying claim relates to

defendants’ sale of goods over the internet and/or through catalogs into Illinois and defendants'

alleged failure to collect and remit use tax relating to these sales.1 The trial court certified the

following questions for interlocutory review:

Question 1

"As a matter of law, if a remote retailer does not collect and remit use tax on sales to

Illinois customers, can it make a 'knowingly' false record or statement, as required to create

liability under the Illinois Whistleblower Reward and Protection Act, 740 ILCS 175/1?"

Question 2

"(a) As a matter of law, does the Whistleblower Act require the existence of an actual

record or statement to support a claim or can the failure to keep a record be actionable?

(b) As a matter of law, can documents memorializing a purchase (i.e. invoices or packing

receipts) that show in the line item for tax '$0.0' or in some other way that tax is not being

collected be considered 'false' under the Whistleblower Act where the retailer that created those

documents does not collect tax?

1 This court granted a motion to withdraw from the appeal filed by Pfaltzgraff Co.,

Maidenform, Inc., Toy's R Us and PETsMART. 3 1-05-1059

(c) Under the Whistleblower Act, as a matter of law, is it necessary that a false statement

be submitted to or actually relied upon by the State?"

Question 3

"Does the application of the general provisions of the Whistleblower Reward and

Protection Act, 740 ILCS 175/1, to enforce the sales and use tax laws improperly deprive

taxpayers of the specific rights and privileges afforded them under the Protest Monies Act (30

ILCS 230/1), the Taxpayer's Bill of Rights, 20 ILCS 2502/1, and/or the statutory administrative

procedures offered by the Illinois Department of Revenue, 35 ILCS 105/1; 35 ILCS 120/1, such

that the Whistleblower Reward and Protection Act cannot be used to enforce the collection of

taxes due the State?"

Question 4

"Is the Illinois Department of Revenue the sole entity authorized by the Illinois General

Assembly to assess and collect use tax?"

Question 5

"Does the Illinois Whistleblower Reward and Protection Act, 740 ILCS 175/1, apply to

alleged tax liabilities under the Use Tax Act?"

Question 6

"(a) Does the Illinois Whistleblower Reward and Protection Act, 740 ILCS 175/1, violate

the Attorney General clause of the Illinois Constitution, Article V, Section 15, by improperly

usurping the exclusive authority of the Attorney General to initiate and conduct litigation on

behalf of the State?

4 1-05-1059

(b) Does the Illinois Whistleblower Reward and Protection Act, 740 ILCS 175/1, as

applied to tax matters, violate either the Attorney General clause or the Executive Compensation

clause of the Illinois Constitution, Article V, Sections 15 and 21?"

This court denied defendants' Rule 308 petition; however, the Illinois Supreme Court

pursuant to its supervisory authority directed this court to answer the above certified questions,

which we now do in this appeal.

BACKGROUND

The following facts are relevant to answering the certified questions raised on appeal.

The law firm of Beeler, Schad & Diamond filed a complaint alleging that the defendant retailers'

records, returns and statements that claimed no use tax was due on their sales to Illinois

consumers were knowingly false within the meaning of the Act. Beeler, Schad & Diamond filed

this complaint on behalf of the State of Illinois as a relator. The complaint alleged that

"defendants are retailers whose out-of-state operations made sales to Illinois residents over the

Internet and/or through catalogs and defendants failed to collect and remit use tax on these

sales." The complaint also alleged that each of defendants' Web sites, retailers' records, returns

and statements that claimed no use tax due on its sales to Illinois customers was knowingly false

within the meaning of the Act.

Beeler, Schad & Diamond also filed a similar complaint in Nevada. In the Nevada case,

the Nevada Supreme Court addressed the false claims actions brought by Beeler, Schad &

Diamond relating to allegations of falsified tax liabilities associated with the retailers' Internet

and/or catalog sales. International Game Technology, Inc. v. Second Judicial District Court of

5 1-05-1059

the State of Nevada, 122 Nev. 132, ____, 127 P.3d 1088, 1095 (2006). The Attorney General in

the Nevada case intervened and moved to dismiss the case. International Game Technology,

Inc., 122 Nev. at ____, 127 P.3d at 1096.

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