State v. Altenburg

538 A.2d 822, 223 N.J. Super. 289, 1988 N.J. Super. LEXIS 60
CourtNew Jersey Superior Court Appellate Division
DecidedMarch 3, 1988
StatusPublished
Cited by4 cases

This text of 538 A.2d 822 (State v. Altenburg) is published on Counsel Stack Legal Research, covering New Jersey Superior Court Appellate Division primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
State v. Altenburg, 538 A.2d 822, 223 N.J. Super. 289, 1988 N.J. Super. LEXIS 60 (N.J. Ct. App. 1988).

Opinion

The opinion of the court was delivered by

ARNOLD M. STEIN, J.S.C.

(temporarily assigned).

We granted leave to appeal from the trial court’s order: suppressing as evidence certain records seized from the business office of defendant Altenburg Piano House, Inc., pursuant to a search warrant, and dismissing counts one and two of the indictment. Defendants also obtained leave to appeal from two rulings by the trial court dealing with the admissibility of certain statements made by defendant Otto Altenburg.

We affirm the order of the trial judge as to the above rulings, but for different reasons than expressed by her in deciding the suppression motion. We conclude that the affidavit submitted in support of the application for a search warrant (R. 3:5—3(a)) did not demonstrate probable cause for its issuance. We also affirm the trial judge’s admissibility rulings on defendants’ cross-motion for leave to appeal.

Defendant Altenburg Piano House, Inc., is a retail seller of pianos and organs. The State alleges a criminal scheme by this defendant and its president, Otto Altenburg, to violate the New Jersey Sales and Use Tax Act, N.J.S.A. 54:32B-1, et seq. (hereafter Sales Tax Act). The State contends that, at its various locations, Altenburg Piano House would make sales to New Jersey residents, then falsely report these transactions as exempt, either as deliveries to non-residents in another state (N.J.S.A. 54:32B-11), or to tax-exempt organizations (N.J.S.A. 54:32B-9), thereby depriving the State of sales tax revenues on each falsely reported transaction. A twenty-seven-count indictment was returned, charging the following offenses:

[292]*292Count 1—theft by failure to make required disposition of property, in violation of N.J.S.A. 2C:20-9 (both defendants).

Count 2—misapplication of entrusted property and property of government, in violation of N.J.S.A. 2C:21-15 (both defendants).

Count 3—keeping of false and fraudulent books, records and accounts, in violation of N.J.S.A. 54:52-4 (both defendants).

Count 4—falsifying or tampering with records in violation of N.J.S.A. 2C:21-4 (both defendants).

Counts 5 to 16—filing of false and fraudulent reports and statements, in violation of N.J.S.A. 54:52-1 (both defendants).

Counts 17 to 27—false swearing, in violation of N.J.S.A. 54:52-2 (Altenburg Piano House only).

The Motion to Suppress

The disputed search warrant was issued on July 30,1984, and was executed on August 1, 1984, at Altenburg Piano House’s main office in Elizabeth. Books and records of the company were seized pursuant to a search conducted by members of the Division of Criminal Justice, assisted by staff from the Division of Taxation. The affidavit in support of the motion was executed by Kenneth A. Bacsik, a sixteen year employee of the Division of Taxation and an auditor with the Division for the last twelve years. We repeat the factual allegations set forth in paragraphs five through eight of the Bacsik affidavit.

5. I was assigned to conduct an investigation and audit into the business operations of Altenburg Piano House, Inc. in December 1983 after an initial inquiry was begun in March 1982 based on information developed through an informant.
6. Information gathered by myself from two informants who wish to remain anonymous revealed fraudulent acts of sales tax evasion in which false records are created to avoid payment of sales tax.
It is my reasonable belief that Informant A is a private citizen with no connection to criminal activity who voluntarily stepped forward to reveal the tax evasion actions of Otto Altenburg which Informant A personally ob-
[293]*293served. The informant has requested to remain anonymous for fear of physical and financial harm by Otto Altenburg.
It is my reasonable belief that Informant B is a private citizen having no involvement with criminal activity and separate and independent of Informant A who voluntarily stepped forward to assist in the investigation of this case.
7. I was personally contacted by or did personally contact Informant A on March 12, 1982, December 9, 1983, December 12, 1983, January 3, 1984, January 12, 1984, January 13, 1984, January 23, 1984 and June 12, 1984 to discuss the aforementioned tax violations and the methods in which they were conducted. According to the personal knowledge of Informant A as indicated to me, Informant A was told by the firm’s president, Otto Altenburg, that Altenburg devised a method by which the delivery records were altered from the actual sales contracts to indicate that residents of the State of New Jersey who were sold pianos or organs at one of Altenburg’s stores were given out-of-state addresses, thereby avoiding payment of the five (5%) percent and six (6%) percent New Jersey sales tax. It was also indicated to me by Informant A that Informant A personally saw Altenburg record and file correct delivery slips separate from the fraudulent delivery slips for purposes of warranty and maintenance service. The location of the accurate set of delivery records was described to me by Informant A as being stored in an office on the first floor in the southeast corner at the 1150 East Jersey Street address.
8. I have had personal contact with Informant B on January 3, 1984 concerning Altenburg Piano House, Inc. and the methods of tax evasion being conducted. Informant B verified the actions of Otto Altenburg, the methods in which the sales tax evasion took place in that he personally knew of and saw the creation of duplicate contracts and invoices created for evading sales tax. Informant B has asked to remain anonymous for fear of physical and economic harm by Otto Altenburg.

Following indictment, defendants moved to suppress the evidence seized pursuant to the search warrant. A defense affidavit placed the credibility of Bacsik’s affidavit in issue. The judge took initial testimony, and eventually conducted a full-scale hearing to determine whether the Bacsik affidavit contained material misstatements made knowingly or in reckless disregard of the truth. Franks v. Delaware, 438 U.S. 154, 171-172, 98 S.Ct. 2674, 2684-2685, 57 L.Ed.2d 667, 681-682 (1978); State v. Howery, 80 N.J. 563, 567 (1979), cert. den. sub nom. Howery v. New Jersey, 444 U.S. 994, 100 S.Ct. 527, 62 L.Ed.2d 424 (1979). Following this hearing, the motion judge suppressed the seized evidence, finding that Bacsik’s affidavit contained several misstatements and omitted significant critical [294]*294information. Most significant was Bacsik’s failure to disclose that “Informant A” was a disgruntled former son-in-law of Otto Altenburg who had divorced Altenburg’s daughter in December 1980, and who had worked for the piano company between 1976 and August 17, 1980. The judge concluded that the misstatements and omissions were made by Bacsik with reckless disregard of the truth. She found that after deletion of the material misrepresentations and the inclusion of the material omissions, the affidavit no longer supported a finding of probable cause for issuance of the warrant.

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Related

State v. Pessolano
778 A.2d 1153 (New Jersey Superior Court App Division, 2001)
State v. Williams
623 A.2d 800 (New Jersey Superior Court App Division, 1993)
State v. Altenburg
546 A.2d 562 (Supreme Court of New Jersey, 1988)

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Bluebook (online)
538 A.2d 822, 223 N.J. Super. 289, 1988 N.J. Super. LEXIS 60, Counsel Stack Legal Research, https://law.counselstack.com/opinion/state-v-altenburg-njsuperctappdiv-1988.