United States v. Boisseau

116 F. Supp. 3d 1242, 116 A.F.T.R.2d (RIA) 5158, 2015 U.S. Dist. LEXIS 90115, 2015 WL 4092814
CourtDistrict Court, D. Kansas
DecidedJuly 7, 2015
DocketCase No. 14-10180-EFM
StatusPublished
Cited by1 cases

This text of 116 F. Supp. 3d 1242 (United States v. Boisseau) is published on Counsel Stack Legal Research, covering District Court, D. Kansas primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
United States v. Boisseau, 116 F. Supp. 3d 1242, 116 A.F.T.R.2d (RIA) 5158, 2015 U.S. Dist. LEXIS 90115, 2015 WL 4092814 (D. Kan. 2015).

Opinion

MEMORANDUM AND ORDER

ERIC F. MELGREN, District Judge.

Defendant Eldon Boisseau was indicted on one count of tax evasion for unpaid taxes and interest of more than $1 million assessed between 1998 and 2008. Bois-seau proceeded to a bench trial May 5-6, 2015. Having reviewed and considered the evidence, which was largely undisputed at .trial, the Court finds Boisseau guilty of tax evasion in yiolation of 26 U.S.C. § 7201. The Court .now issues its Findings of Fact and Conclusions of Law.

FINDINGS OF FACT

I. Background

1. . Eldon Boisseau is an attorney in Wichita.

2. From 1998 through 2010, Boisseau earned his income by practicing law with three law firms: Turner & Boisseau, Chartered; Klenda,- Mitchell, Austerman & Zuercher; and the Law Offices of Eldon L. Boisseau, LLC.

3. On October 15, 2014, the United States indicted Boisseau for willfully attempting to evade or defeat payment of his federal income tax liabilities for 1998 through 2000, 2002 through 2005, 2007 through 2008, and a trust fund recovery penalty related to two periods in 1999.

II. Substantial Tax Due and Owing

4. On December 17, 2000, Boisseau filed an amended income tax return, Form 1040X, for the tax year 1998. He reported owing $141,515 as of the daté he filed the amended return. Despite reporting that he owed this amount, Boisseau did not pay the liability at the time of filing. As of April 6, 2015, as a result of accumulated interest, Boisseau owed $228,719.04.

5. On June 11, 2004, Boisseau filed an amended income tax return, Form 1040X, for the tax year 1999. He reported owing $78,662 as of the date he filed the amended return. Despite reporting that he owed this amount, Boisseau did not pay the liability at the time of filing. As of April 6, 2015, as a result of accumulated interest, Boisseau owed $254,947.11.

[1245]*12456. On December 12, 2001, Boisseau filed an income tax return, Form 1040, for the tax year 2000. He reported' owing $22,782 as of the date he filed the return. Despite reporting that he owed this amount, Boisseau only paid $500 at the time of filing. As of April 6, 2015, as a result of accumulated interest, Boisseau owed $55,284.85.

7. On or about January 28, 2004, Bois-seau filed an amended income tax return, Form 1040X, for the tax year 2002. Bois-seau reported owing tax of $54,629. Despite reporting that he owed this amount, Boisseau did not pay the liability at the time of filing. As of April 6,' 2015, as a result of accumulated interest, Boisseau owed $111,302.01

8. On October 17, 2004, Boisseau filed an income tax return, Form 1040, for the tax year 2003. Boisseau reported owing tax due of $62,124. Despite reporting that he owed this amount, Boisseau did not pay the liability at the time of filing. He did not have any tax withheld from his pay that year. As of April 6, 2015, as a result of accumulated interest, Boisseau owed $118,948.28.

9. On October 17, 2005, Boisseau filed an income tax return, Form 1040, for the tax year 2004. He reported owing $53,901 as of the date he filed the return. Despite reporting that he owed this amount, Bois-seau did not pay the amount he reported owing. As of April 6, 2015, as a result of accumulated interest, ■ Boisseau owed $101,505.69.

10. On October 18, 2006, Boisseau filed an income tax return, Form 1040, for the tax year 2005. Boisseau reported owing $73,879 as of the date he filed the return. Despite reporting that he owed this amount, Boisseau did not pay the liability at the time of filing. As of April 6, 2015, as a result of accumulated interest, Bois-seau owed $134,434.53.

11. On. October 9, 2008, Boisseau .filed an amended income tax return, Form 1040X, for the tax year 2007. Boisseau reported owing $10,909. Despite reporting that he owed this amount, Boisseau did not pay the liability at the time of filing. As of April 6, 2015, as a result of accumulated interest, Boisseau owed $20,391.37.

12. On October 9, 2009; Boisseau filed an income tax return, Form 1040, for the tax year 2008. Boisseau reported owing $22,626 as of the date he filed the return. Despite reporting that he owed this amount, Boisseau did not pay the liability at the time of filing. As of- April 6, 2015, as a result of accumulated interest, Bois-seau owed $32,606.06.

13. On July 9, 2001, the IRS assessed Boisseau with a trust fund recovery penalty in the amount of $250,929.02.' The assessment was made based on the IRS’ determination that Boisseau was a responsible officer at the law firm of Turner & Boisseau who willfully failed to pay over the employment taxes withheld from the firm’s employees’ pay in the second quarter of 1999. Boisseau was a 60 percent owner of the firm at the time.

14. The IRS also assessed a trust fund recovery penalty against Brian Mauden. In 1999, Mauden was the comptroller for Turner & Boisseau.

15. As comptroller,. Mauden informed Boisseau that the firm was unable to pay its payroll taxes. Mauden informed Bois-seau that, the .firm had fallen behind on paying the IRS the trust fund portion.of the firm’s employment taxes. Mauden advised Boisseau that he should reduce his pay to increase cash flow and allow the firm to pay the liability. Boisseau rejected the idea.

16. Boisseau has made $1,000 in payments toward the trust fund recovery penalty.

[1246]*124617. Other than the $1,000 paid by Bois-seau, Mauden made all the other payments toward the liability from the date of assessment to February 21, 2014. Mauden made these payments from his military retirement and social security.

18. By virtue of Mauden’s payments, the trust fund recovery penalty assessment was paid off as of February 21, 2014, but the accrued interest remains.

III. Affirmative Acts of Evasion and Willfulness

A. Boisseau uses a nominee owner for his law firm.

19. Jack Mclnteer, an attorney from Wichita, testified that in 2005, Boisseau asked him to create a law firm “that Eldon Boisseau would be the manager and primary lawyer in.” Mclnteer assisted Bois-seau in creating the Law Offices of Eldon L. Boisseau, LLC. Mclnteer testified that Boisseau made the ultimate decision to create the Law Offices of Eldon L. Bois-seau.

20. In creating the Law Offices of Eldon L. Boisseau, Mclnteer discussed Bois-seau’s tax liabilities with him. Boisseau expressed his concern to Mclnteer about his tax liabilities.

21. On September 19, 2005, Mclnteer emailed Boisseau that he could “set up the LLC and structure it anyway you want.”

22. Boisseau wanted to design the firm ' in a manner that would protect the firm’s assets from IRS collection. Mclnteer testified that “if [the law firm] was Eldon Boisseau’s business, then the IRS could attach all of the assets,” including the firm’s accounts receivable. But if “the law firm itself and its assets were not his, then they wouldn’t be attachable.”

23. In an email from Mclnteer to Bois-seau and his accountant, Tom Dechant, on November 9, 2005, Mclnteer - stated that “Eldon could own the LLC, but that is just asking for IRS problems. They could get any equity.

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Related

United States v. Boisseau
841 F.3d 1122 (Tenth Circuit, 2016)

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116 F. Supp. 3d 1242, 116 A.F.T.R.2d (RIA) 5158, 2015 U.S. Dist. LEXIS 90115, 2015 WL 4092814, Counsel Stack Legal Research, https://law.counselstack.com/opinion/united-states-v-boisseau-ksd-2015.