United States v. Dickerson

101 F. Supp. 262, 41 A.F.T.R. (P-H) 509, 1951 U.S. Dist. LEXIS 2010
CourtDistrict Court, E.D. Missouri
DecidedSeptember 24, 1951
Docket7214(2)
StatusPublished
Cited by9 cases

This text of 101 F. Supp. 262 (United States v. Dickerson) is published on Counsel Stack Legal Research, covering District 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
United States v. Dickerson, 101 F. Supp. 262, 41 A.F.T.R. (P-H) 509, 1951 U.S. Dist. LEXIS 2010 (E.D. Mo. 1951).

Opinion

101 F.Supp. 262 (1951)

UNITED STATES
v.
DICKERSON et al.

No. 7214(2).

United States District Court E. D. Missouri, E. D.

September 24, 1951.

*263 Theron Lamar Caudle, Asst. Atty. Gen., and Andrew D. Sharpe and Benjamin H. Pester, Sp. Assts. to Atty. Gen., Drake Watson, U. S. Atty., of New London, Mo., and William V. O'Donnell, Asst. U. S. Atty., of St. Louis, Mo., for plaintiff.

J. T. Dickerson and Forrest Powell, Edmond, Okl., for O. W. Dickerson and Mason D. Dickerson.

James C. Jones, III, St. Louis, Mo., guardian ad litem for Beverly Jane Dickerson, Howard Dean Dickerson and Mason Orman Dickerson, infants.

Dewey Routh, Rolla, Mo., pro se, and for Fred C. King, as administrator of the estate of Jessie Maude Mundis, Edwin L. Mooney and Norma G. Mooney.

Leo Lyng, St. Louis, Mo., for John E. Kuziel, Mabel M. Kuziel, Florian Kuziel and Mary Kuziel.

HULEN, District Judge.

Plaintiff sues to enforce a tax lien on a tract of land, improved and equipped as a tourist court, in Phelps County, Missouri,[1] for payment of additional income taxes for 1920 assessed against defendant O. W. Dickerson.

The following issues are presented: (1) Is the tax liability extinguished by limitation? (2) Did title to the property rest in O. W. Dickerson as a trustee only, by virtue of an alleged trust set out in an instrument titled "Business Lease", as claimed by defendants, or did O. W. Dickerson inherit a one-half interest on death of his daughter Jessie Maude Mundis because the alleged "trust" executed by her is void, or in the alternative did the daughter hold the title as a trustee for her father O. W. Dickerson? (3) Is a decision of the Circuit Court of Phelps County, Missouri, determinative of the issue? (4) Is the tax lien valid as against defendants Mooney and Kuziel, who claim to be innocent purchasers for value?

In April 1921 O. W. Dickerson filed his income tax return for the year 1920 and a notice of deficiency in income taxes was sent to him by the Commissioner of Internal Revenue on December 20, 1930. On February 17, 1931 Dickerson filed a petition in the Board of Tax Appeals for the determination of his 1920 income tax liability. On April 26, 1934, upon a stipulation of the parties, the Board of Tax Appeals entered its final order declaring a deficiency *264 in income taxes for the year 1920 in the amount of $32,096.64. The Commissioner assessed this deficiency together with interest of $15,843.43 on May 18, 1934, on the Commissioner's Special List for the Collection District of Oklahoma. The list was received by the Collector on May 21, 1934, and on that date notice and demand was mailed to the taxpayer.

On November 1, 1943, the assessment was transferred from the Oklahoma District to the First District of Missouri. The Collector for the Missouri District filed a notice of tax lien in Phelps County, Missouri, on November 16, 1943, with the Recorder of Deeds, at Rolla, Missouri, seeking a lien on Trav-L-Odge.

Tax collection waivers were signed by O. W. Dickerson extending the time for collection to December 31, 1949. On July 2, 1949, Dickerson submitted an offer in compromise (on Form 656) whereby he agreed to the suspension of the running of the statute of limitations for the pendency of the offer and for one year thereafter. The offer was rejected about November 16, 1949. The suit was filed on May 25, 1950.

In his petition filed in the Board of Tax Appeals Dickerson alleged the taxes were barred by limitation. This allegation was denied in the answer, except that it was admitted in the answer that the taxes in controversy were income taxes for the years 1919 and 1920. The decision of the Board was entered upon a stipulation in which the parties agreed that effective upon the entry of the Board's order of redetermination the petitioner waived the restrictions applicable to assessment and collection, if any, contained in the applicable Internal Revenue Acts.

On January 21, 1939, the record title to Trav-L-Odge was in Bernard Stair. Stair executed a bond for a deed to W. E. Reed October 20, 1936. January 21, 1939, W. E. Reed and wife executed a bond for a deed to Jessie Maude Mundis. These instruments were recorded. Jessie Maude Mundis took possession and expanded the improvements from two original cabins. Jessie Maude Mundis, being in bad health, on February 24, 1948 executed a document titled "Business Lease" under which O. W. Dickerson took possession of Trav-L-Odge. This paper was recorded July 9, 1948.

The contract for sale resulting in delivery of bond for deed between Reed and Jessie Maude Mundis called for a down payment of $1,500. O. W. Dickerson testified he loaned his daughter $3,000 about this time. This sum was accounted for by a deposit made in the Tower Grove Bank in St. Louis, in the name of "Oil Well Drilling Corporation", a family corporation of which O. W. Dickerson was President. O. W. Dickerson testified he was repaid in full by his daughter. Checks were drawn on the Tower Grove Bank account — $1,500 on January 24, 1939; $1,000 on January 25, 1939; and $500 on February 28, 1939. The check for $1,500 was dated January 21, 1939, was payable to Jessie Maude Mundis, and bears the indorsement of W. E. Reed. O. W. Dickerson testified to lending his daughter an additional sum of $5,000 for making improvements. On November 6, 1939, a cashier's check was issued by the Security Bank at Blackwell, Oklahoma, to the Oil Well Drilling Corporation for $5,806.04. This was deposited in the Trav-L-Odge account in the Rolla State Bank and at once the Rolla State Bank issued its cashier's check for $5,000 to O. W. Dickerson, out of the deposit. This cashier's check bears the indorsement of O. W. Dickerson, followed by the indorsement of Jessie M. Mundis. O. W. Dickerson testified the $5,000 was paid by O. W. Dickerson selling for his account oil well machinery owned by Jessie Maude Mundis in excess of $5,000. Defendant Dickerson offered a letter dated February 9, 1939 (Defendants' Exhibit E) written by Jessie Maude Mundis to her stepmother, O. W. Dickerson's wife. In this letter the daughter tells of selling a residence in Oklahoma City to her father for $5,000, and that $3,000 was to be paid in cash —"In the belief that the deal was satisfactory all around I went into this proposition at Rolla. [Trav-L-Odge] Of course I expected to have the Money to carry out my plans * * * the small amount Carl [her deceased husband] left me, and which I have guarded carefully was only enough to start *265 me here so now I will either have to complete a deal on the O. C. property or make a loan * * * I have stood pretty well on my own feet since I have been grown and have never even called on Dad for assistance of any importance".

Other portions of this letter indicate O. W. Dickerson at the time was insolvent and was living in his daughter's house free of rent. Insolvency as of this time is also suggested by the unpaid tax due plaintiff.

It is defendants' position that O. W. Dickerson's possession and sole interest in Trav-L-Odge was as his daughter's trustee. After operating Trav-L-Odge in her name for several years, the health of Jessie Maude Mundis failed. She was unable to continue operation of the enterprise. Defendant O. W. Dickerson and Jessie Maude Mundis consulted a lawyer in Rolla and had him prepare a "Business Lease" turning Trav-L-Odge over to O. W. Dickerson "as lessee", as of February 24, 1948. This instrument contains some formal lease terms.

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Cite This Page — Counsel Stack

Bluebook (online)
101 F. Supp. 262, 41 A.F.T.R. (P-H) 509, 1951 U.S. Dist. LEXIS 2010, Counsel Stack Legal Research, https://law.counselstack.com/opinion/united-states-v-dickerson-moed-1951.