United States v. Geddes

CourtDistrict Court, D. Utah
DecidedAugust 15, 2022
Docket1:17-cv-00167
StatusUnknown

This text of United States v. Geddes (United States v. Geddes) is published on Counsel Stack Legal Research, covering District Court, D. Utah primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
United States v. Geddes, (D. Utah 2022).

Opinion

IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF UTAH

UNITED STATES OF AMERICA

MEMORANDUM DECISION AND Plaintiff, ORDER GRANTING PLAINTIFF’S

MOTION TO DISMISS v. COUNTERCLAIM

DERALD W. GEDDES; BLACK ROCK Case No. 1:17-cv-00167-RJS-CMR VENTURES, LLC; NATIONWIDE

BANK; SUZANNE GRISMORE Chief Judge Robert J. Shelby GEDDES; STATE OF UTAH, TAX

COMMISSION; AND WEBER Magistrate Judge Cecilia M. Romero COUNTY, UTAH,

Defendants.

Plaintiff United States of America brought this action seeking to reduce to judgment unpaid federal income taxes and to foreclose related federal tax liens.1 Defendant Derald W. Geddes filed a Counterclaim alleging the United States committed securities fraud under 18 U.S.C. § 513.2 Now before the court is the United States’ Motion to Dismiss Geddes’ Counterclaim pursuant to Federal Rules of Civil Procedure 12(b)(1) and 12(b)(6).3 For the reasons set forth below, the United States’ Motion is GRANTED. BACKGROUND In 2007, the Internal Revenue Service (IRS) assessed Geddes’ unpaid taxes and penalties for tax years 2003–2005, except for one late-filing penalty for tax year 2004, which was assessed

1 Dkt. 2 (Complaint) ¶¶ 1, 39, 49. 2 Dkt. 31-5 (Answer and Counterclaim) at 2. 3 Dkt. 50 (Motion to Dismiss Counterclaim) at 1. in 2017.4 Between 2011 and 2013, the IRS also assessed penalties against Geddes for filing frivolous returns for tax years 2007–2010.5 On October 26, 2017, the United States filed this action seeking to reduce to judgment $994,682.10 of Geddes’ unpaid federal income tax and civil penalty assessments, and to foreclose related federal tax liens.6 The United States filed its Complaint three days before the

statute of limitations ran on Geddes’ 2003 liabilities and eight months before the limitations period would run on his 2000–2005 liabilities.7 At the time of filing, the United States believed Geddes was residing in Chile based on statements his neighbor and son made to an IRS Officer.8 After serving the other Defendants,9 the United States informed the court that “upon belief,” Geddes had not been served because he was not living in the United States.10 After providing this status report, the United States hired a

4 Dkt. 2 ¶ 11. 5 Id. ¶ 25. 6 Id. ¶¶ 1, 39, 49. 7 See Dkt. 29 (Memorandum Decision and Order Denying Geddes’ Motion to Dismiss) at 2. The 2003 liabilities were assessed on March 19, 2007. Dkt. 2 ¶ 11. The United States had ten years from the date of assessment to initiate court proceedings under 26 U.S.C.§ 6502(a)(1); however, that time was tolled for six months and forty days due the pendency of Geddes’ bankruptcy proceedings. Dkt. 2 ¶¶ 12–14; see also 26 U.S.C § 6502(a)(1) (setting forth ten-year statute of limitations); 26 U.S.C. § 6503(b) (tolling for six months plus time assets are in court custody); Order Dismissing Case In re Geddes, No. 07-24220 (Bankr. D. Utah Oct. 16, 2007) (forty-day pendency of Geddes’ bankruptcy proceedings). Thus, the limitations period for the 2003 liabilities ran on October 29, 2017. Dkt. 2 ¶ 14. The 2004–2005 liabilities were assessed on November 19, 2007 and were subject to a limitations deadline of June 28, 2018. See Dkt. 2 ¶¶ 11, 14. 8 Dkt. 24 (2021 Status Report) ¶ 4. 9 The other Defendants are parties who may claim an interest in the real property at issue in this case and include: (1) Black Rock Ventures LLC, an entity allegedly used by Geddes to attempt to encumber the real property by identifying it as a beneficiary on a Deed of Trust recorded with the Weber County Recorder; (2) Nationwide Bank; (3) Suzanne Grismore Geddes, Geddes’ Spouse; (4) State of Utah, Tax Commission; and (5) Weber County, Utah. Dkt. 2 ¶¶ 6–10; Dkt. 12 (Defendant Suzanne Grismore Geddes’ Answer) ¶ 4. 10 Dkt. 13 (2018 Status Report) ¶ 3. private investigator to find Geddes in Chile so he could be served, but the investigator was unsuccessful.11 In February 2020, Geddes was arrested in Florida on related criminal charges pending in the District of Utah and taken into federal custody.12 Nearly one year later, on January 25, 2021, the IRS Office of Chief Counsel informed counsel for the United States in this matter that

Geddes was being held in the Weber County Jail awaiting trial on criminal charges.13 One week later, on February 3, 2021, the United States served Geddes with the Summons and Complaint in this civil action.14 On March 3, 2021, Geddes filed a Motion to Dismiss based on insufficient service of process, lack of subject matter and personal jurisdiction, and immunity from suit as a sovereign.15 The court denied Geddes’ Motion to Dismiss but found the United States had not established that it effected timely service of process under Federal Rule of Civil Procedure 4(m).16 However, the court granted the United States’ request for extension and allowed it thirty days to properly serve Geddes.17 On August 2, 2021, Geddes filed a Counterclaim against the United States, alleging that

the United States’ “summonses” and “notice of deficiency” qualify as “counterfeit securities” in

11 Dkt. 24 ¶ 4. 12 On December 2, 2015, Geddes was indicted for multiple violations of federal tax law. See SEALED Indictment, United States v. Geddes, No. 1:15-cr-93-TC (D. Utah Dec. 2, 2015). The IRS later referred the related civil matter to the United States Department of Justice, Tax Division, Civil Trial Section. Dkt. 28-1 (Watson Declaration) ¶ 2. On February 26, 2020, Geddes was arrested in the Southern District of Florida for charges in the related criminal case. See Arrest Warrant Returned Executed, Geddes, No. 1:15-cr-93-TC (D. Utah Mar. 11, 2020); Dkt. 50 at 2. 13 Dkt. 28-1 ¶ 5. The court ordered a status report in this case on January 28, 2021. Dkt. 23 (Order). 14 Dkt. 25 (Summons Returned as Executed). 15 Dkt. 27 (Motion to Dismiss). 16 Dkt. 29 at 6–7; see also Dkt. 34 (Motion to Set Aside Order on Motion to Dismiss); Dkt. 46 (Order Denying Motion to Set Aside). 17 Dkt. 29 at 7–8. violation of 18 U.S.C. § 513.18 On October 1, 2021, the United States filed its Motion to Dismiss Geddes’ Counterclaim for lack of subject matter jurisdiction and failure to state a claim upon which relief can be granted.19 The matter being fully briefed,20 for the reasons described below the court GRANTS the United States’ Motion to Dismiss. LEGAL STANDARDS

Throughout this litigation, Geddes has proceeded pro se.

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