United States v. Fred A. Avila Molly Avila Security Pacific National Trust Co. James D. Diemer Julia Diemer Citizens First National Bank of New Jersey Frances Sylvester. Frances Sylvester, Defendant/third-Party v. Ticor Title Insurance Company Chicago Title Insurance Company, Third-Party

88 F.3d 229, 78 A.F.T.R.2d (RIA) 5189, 1996 U.S. App. LEXIS 15730
CourtCourt of Appeals for the First Circuit
DecidedJuly 1, 1996
Docket95-5526
StatusPublished

This text of 88 F.3d 229 (United States v. Fred A. Avila Molly Avila Security Pacific National Trust Co. James D. Diemer Julia Diemer Citizens First National Bank of New Jersey Frances Sylvester. Frances Sylvester, Defendant/third-Party v. Ticor Title Insurance Company Chicago Title Insurance Company, Third-Party) is published on Counsel Stack Legal Research, covering Court of Appeals for the First Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
United States v. Fred A. Avila Molly Avila Security Pacific National Trust Co. James D. Diemer Julia Diemer Citizens First National Bank of New Jersey Frances Sylvester. Frances Sylvester, Defendant/third-Party v. Ticor Title Insurance Company Chicago Title Insurance Company, Third-Party, 88 F.3d 229, 78 A.F.T.R.2d (RIA) 5189, 1996 U.S. App. LEXIS 15730 (1st Cir. 1996).

Opinion

88 F.3d 229

78 A.F.T.R.2d 96-5189, 96-2 USTC P 50,357

UNITED STATES of America, Appellant,
v.
Fred A. AVILA; Molly Avila; Security Pacific National
Trust Co.; James D. Diemer; Julia Diemer;
Citizens First National Bank of New
Jersey; Frances Sylvester.
Frances SYLVESTER, Defendant/Third-Party Plaintiff,
v.
TICOR TITLE INSURANCE COMPANY; Chicago Title Insurance
Company, Third-Party Defendants.

No. 95-5526.

United States Court of Appeals,
Third Circuit.

Argued May 9, 1996.
Decided July 1, 1996.

Marion E.M. Erickson (argued), Gary R. Allen, William S. Estabrook, Richard Farber, United States Department of Justice, Tax Division, Washington, DC, for Appellant.

Donald L. Berlin (argued), Berlin, Kaplan, Dembling & Burke, Morristown, NJ, for Appellees Fred A. Avila, Molly Avila, Security Pacific National Trust Company, James D. Diemer, Julia Diemer, and Citizens First National Bank of New Jersey.

Frederick L. Bernstein, Hackensack, NJ, for Appellee Frances Sylvester.

Before: GREENBERG, ALITO, and McKEE, Circuit Judges.OPINION OF THE COURT

GREENBERG, Circuit Judge.

In this case we must determine whether the government's tax lien in real property is limited to a taxpayer's equity when he conveyed the property subject to the lien or whether the lien also attaches to the appreciation in the value of the property after the conveyance. Since nothing in the relevant statutes suggests that the government lien should be limited to the value of the taxpayer's equity in the property at the time of the conveyance and since the conveyance cannot affect the lien, we will reverse the district court's order based on its contrary conclusion. In addition, we find that determination of the property interest to which the lien attaches will depend on the relative longevities of Herbert and Frances Sylvester, who were the married owners of the property when the lien attached, and that James D. Diemer and Julia Diemer, the second purchasers of the property subject to the lien, properly can claim the benefits of equitable subrogation to encumbrances against the property with priority over the government lien.

A. FACTUAL BACKGROUND AND PROCEDURAL HISTORY

The germane facts are not disputed. On November 5, 1979, the Internal Revenue Service made an assessment against Herbert Sylvester (but not against Frances Sylvester) in the amount of $62,523.21 pursuant to 26 U.S.C. § 6672. App. 14. Mr. Sylvester did not pay the assessment so a tax lien arose pursuant to 26 U.S.C. § 6321 and attached to all his property, including his interest in the real property involved in this case located at 500 Ridgeland Terrace, Leonia, Bergen County, New Jersey, which he and his wife owned as tenants by the entireties. App. 13-14. On June 26, 1980, the Internal Revenue Service filed a Notice of Federal Tax Lien against Mr. Sylvester (but not against Mrs. Sylvester) in Bergen County, New Jersey, for the above liability. App. 14.

Mr. Sylvester did not satisfy the lien in whole or in part. Rather, he divested himself of any interest in the property on October 3, 1980, when he conveyed it to Mrs. Sylvester for less than $100. App. 15. At that time, the property was worth $155,000 but was encumbered by liens with priority over the federal tax lien in the total amount of $154,318. These liens were: (1) mortgages held by Midlantic National Bank in the total amount of $100,566.26; (2) a mortgage held by Daniel Segal in the amount of $12,000; (3) a judgment in favor of Howard Strauss against Mr. Sylvester in the amount of $15,000; and (4) a judgment in favor of United Jersey Bank against Mr. Sylvester in the amount of $26,751.74. App. 104-05. The Internal Revenue Service refiled its lien on June 4, 1985.

On December 19, 1986, the Sylvesters were divorced, and Mrs. Sylvester took the property under the terms of their property settlement agreement. The agreement required Mrs. Sylvester to sell the property and to pay the balance due on various liens against the property, including the federal tax lien, from the proceeds of the sale.1

On April 18, 1989, Mrs. Sylvester sold the property for $580,000 to Fred Avila and Molly Avila who secured title insurance through Ticor Title Insurance Company. Ticor was aware of the IRS lien, but omitted it from its list of exceptions to title in the mistaken belief that the 1980 lien had expired and that the refiled 1985 lien was a new lien that had arisen after Mr. Sylvester no longer had an interest in the property. Thus, notwithstanding the settlement agreement, Mrs. Sylvester did not pay off the federal tax lien with the proceeds of the sale.

On December 27, 1991, the United States filed a complaint in the district court against the Avilas and Security Pacific National Trust Company, their mortgagee, seeking to foreclose the tax lien on the property. App. 7-11. On January 29, 1993, the Avilas sold the property to James D. Diemer and Julia Diemer for $480,000, following which, on November 3, 1993, the United States filed an amended complaint joining the Diemers and their mortgagee, Citizens First National Bank of New Jersey, as foreclosure defendants. The government also sued Mrs. Sylvester for damages in the amended complaint asserting that it was a third-party beneficiary of her settlement agreement with her husband and that she had breached her duty under the agreement to pay the debt secured by its lien that Mr. Sylvester owed to it.

On February 2, 1994, the Diemers filed a motion for partial summary judgment. They argued that the IRS lien attached to Mr. Sylvester's undivided one-half interest in the property subject to his wife's right to survivorship, and that the government's interest in the property never could exceed such an interest. They further argued that they were entitled to be equitably subrogated to the liens with priority over the IRS lien that were satisfied when the Avilas acquired the property and to that extent had a priority over the government lien. On or about February 25, 1994, the United States filed a motion for partial summary judgment, arguing that Mrs. Sylvester's sale of the property to the Avilas had destroyed the right of survivorship and that the IRS lien therefore was attached to a one-half interest in the property unencumbered by Mrs. Sylvester's right of survivorship.

On August 1, 1994, the district court denied the United States' motion for partial summary judgment and granted the Diemers' and Citizens First National Bank of New Jersey's motion for partial summary judgment. United States v. Diemer, 859 F.Supp. 126 (D.N.J.1994). The court held that the IRS lien attached only to Mr. Sylvester's undivided one-half interest in the property and that the value of the lien was fixed at the time Mr. Sylvester transferred his interest to his wife on October 3, 1980. Thus, the court held that the government could not benefit from the property's subsequent appreciation in value.

Free access — add to your briefcase to read the full text and ask questions with AI

Related

Burton v. Smith
38 U.S. 464 (Supreme Court, 1839)
Michigan v. United States
317 U.S. 338 (Supreme Court, 1943)
United States v. Bess
357 U.S. 51 (Supreme Court, 1958)
United States v. Mitchell
403 U.S. 190 (Supreme Court, 1971)
United States v. Rodgers
461 U.S. 677 (Supreme Court, 1983)
United States v. National Bank of Commerce
472 U.S. 713 (Supreme Court, 1985)
Jea Min Han Jae Soon Han v. United States
944 F.2d 526 (Ninth Circuit, 1991)
United States v. Diemer
859 F. Supp. 126 (D. New Jersey, 1994)
Trus Joist Corp. v. Treetop Associates, Inc.
477 A.2d 817 (Supreme Court of New Jersey, 1984)
King v. Greene
153 A.2d 49 (Supreme Court of New Jersey, 1959)
Freda v. Commercial Trust Co.
570 A.2d 409 (Supreme Court of New Jersey, 1990)
Metrobank v. National Com. Bank
620 A.2d 433 (New Jersey Superior Court App Division, 1993)
Newman v. Chase
359 A.2d 474 (Supreme Court of New Jersey, 1976)
Trus Joist Corp. v. Nat'l Union Fire Ins. Co.
462 A.2d 603 (New Jersey Superior Court App Division, 1983)
Home Owners' Loan Corp. v. Collins
184 A. 621 (New Jersey Court of Chancery, 1936)
Mansfield Railway, Light & Power Co. v. Kiner
2 Ohio App. 82 (Ohio Court of Appeals, 1913)
United States v. Avila
88 F.3d 229 (Third Circuit, 1996)

Cite This Page — Counsel Stack

Bluebook (online)
88 F.3d 229, 78 A.F.T.R.2d (RIA) 5189, 1996 U.S. App. LEXIS 15730, Counsel Stack Legal Research, https://law.counselstack.com/opinion/united-states-v-fred-a-avila-molly-avila-security-pacific-national-trust-ca1-1996.