United States v. Haar

19 F.2d 399, 6 A.F.T.R. (P-H) 6728, 1927 U.S. Dist. LEXIS 1155
CourtDistrict Court, S.D. Georgia
DecidedApril 21, 1927
StatusPublished

This text of 19 F.2d 399 (United States v. Haar) is published on Counsel Stack Legal Research, covering District Court, S.D. Georgia primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
United States v. Haar, 19 F.2d 399, 6 A.F.T.R. (P-H) 6728, 1927 U.S. Dist. LEXIS 1155 (S.D. Ga. 1927).

Opinion

BARRETT, District Judge.

The liability of W. H. Haar and E. H. Haar for income tax came under investigation in 1922 by officials of the Internal Revenue Department of the Uniteá States. On July 13, 1922, Thos. E. Stone, revenue agent in charge, sent the following telegram:

“To Commissioner of Internal Revenue, Treasury Building, Washington, D. C. Recommend immediate assessment income tax Frederick H. Haar, Savannah, Georgia, nineteen seventeen, fourteen thousand six hundred eighty-two dollars and thirty-five cents; nineteen eighteen, thirty-six thousand three hundred eighty-two dollars and thirty-eight cents; nineteen nineteen, twenty-one thousand seventy dollars and forty-one cents; nineteen twenty, one thousand seventy dollars and. forty-one cents; nineteen twenty, five thousand seven hundred fifty-nine dollars and twenty-three cents; nineteen twenty-one, fifteen thousand nine hundred forty-one dollars and seventy-nine cents. Stop. Will H. Haar, trading as Dixie Supply Company, Savannah, Georgia, nineteen seventeen, nine thousand twenty-one dollars and seventy-three cents; nineteen eighteen, forty-one’ thousand nine hundred five dollars and ninety cents; nineteen nineteen, one thousand two hundred eighty-two dollars and sixty-four cents; ■ nineteen twenty, three hundred fifty-six thousand sixty-seven dollars and forty-eight cents; nineteen twenty-one, eight hundred thirty-four thousand nine hundred twenty-six dollars and fifty-four [401]*401cents; nineteen twenty-two, six hundred fifty-eight thousand two hundred forty-five dollars and seventy-six cents. Stop. Above assessments recommended purpose attaching certain deposits in banks to credit of these taxpayers. Stop. Fred H. Haar now under bond for failure to pay tax as provided by law. Stop. Immediate confirmation to collector essential.”

On July 14, 1922, D. H. Blair, Commissioner of Internal Revenue, signed a paper captioned in large letters: “Assessment Certificate.” The pertinent portions of the body of the certificate are:

“I hereby certify that the individuals, firms, and corporations reported by me on the attached lists are liable for the amount of taxes, penalties, etc., entered opposite their names, and that the amounts thereof are as follows: Dated at -. Office of Collector of Internal Revenue 666 -- 192--:-, Collector of Internal Revenue.” (Blank lines unsigned.)

Separated from the above by a dividing line across the sheet there are four columns in the body of the certificate, captioned “List,” “Returns Filed,” “Excess Collections,” “Total Tax.” There are no entries in any of these columns. In the body of the certificate are two lines, one marked “Totals Reported by Collector,” and one marked “Differences Found by Commissioner.” There are no entries on these lines. The next line is marked “Items Reported by .Commissioner,” and opposite that is “1,995,336.21,” and immediately below it another line, marked “Total Assessment,” with the same figures entered. Then follows this certificate, signed by the Commissioner:

“I hereby certify that I have made inquiries, determinations, and assessments of taxes, penalties, etc., of the above classification specified in these lists, and find that the amounts of taxes, penalties, etc., stated as corrected by the statement of differences and as specified in the supplementary pages of this list made by me are due from the individuals, firms, and corporations opposite whose names such amounts are placed, and that the amount chargeable to the collector is as above.

“Dated at Washington, D. C., Office of Commissioner of Internal Revenue, Jul. 14, 1922. D. H. Blair, Commissioner of Internal Revenue.”

Attached to the said assessment certificate is a paper captioned “Assessment List.” On this list appears five entries against “Haar, Frederick H., Savannah, Ga.,” and opposite each such entry are six columns, marked respectively “Old Balance,” “Date,” “Debit,” “Credit,” “New Balance,” “Remarks.” In the column marked “New Balance” are the following entries, respectively: “14682 35,” “36382 38,” “21070 41,” “5759 23,” “15941 79,” and under the column “Remarks” is entered these words and figures: “1917 1040 Dummy OL 7/1422,” “1918 1040 Dummy OL 7/14/22,” “1919 1040 Dummy OL 7/14/22,” “1920 1040 Dummy OL 7/14/22,” “1921 1040 Dummy OL 7/14/22.”

On the same sheet there are five entries against “Haar, Will H., Trading as Dixie Supply Co., Savannah, Ga.,” 1, 4, and 5 of which entries have opposite them respectively, under the column “New Balance” “9021 73,” “356067 48,” and “834926 54,” and under “Remarks,” respectively, “1917 1040 OL 7/14/22 Dummy,” “1920 1040 Dummy OL 7/14/22,” “1921 1040 OL 7/14/22 Dummy.” Opposite column 2 under “Old Balance” are the figures “41955 90”; under “Date” the entry “1/15/24”; under “Credit” the entry “11404 37”; under “New Balance” the entry “41955 90”

“30551 53,” and under “Remarks” “1918 1040 Dummy SCH 7993 OL 7/14/22.” Opposite the third column, under the columns marked, respectively, “Old Balance,” “Date,” “Credit,” “New Balance,” and “Remarks” are the following figures, “1282 64”, “1/15/24”, “436 54”, “1282 64”

“846 10,” and “1919 1040 Dummy SCH 7993 OL 7/14/22.”

On July 15, 1922, the collector in charge, through his deputy, filed with certain banks a notice of tax lien as follows:

“Treasury Department, Internal Revenue Service. Form 668. Revised March, 1922. Notice of Tax Lien under Internal Revenue Laws. United States Internal Revenue, District of Georgia.

“July 15, 1922.

“Pursuant to the provisions of section 3186 of the Revised Statutes of the United States, as amended by Act March 4, 1913 (37 Stat. 1016), notice is hereby given that there have been assessed under the internal revenue laws of the United States against the following named taxpayer taxes (including penalties) which after demand for payment thereof remain unpaid, and that by virtue of the above-mentioned statute the amount of said taxes, together with interest, penalties, and other costs that may accrue in addition thereto, is a lien in favor [402]*402of the United States upon all property and rights to property belonging to said taxpayer, to wit: Name of taxpayer, William H. Haar; residence or place of business, Savannah, Chatham county, Georgia. Nature of tax income, -. Taxable period, 1917, 1918, 1919, 1920, 1921, 1922. Amount of tax assessed $1,901,500.05. Additional (penalty) tax assessed, $-. Date assessment list received, July 14, 1922. Deposit.

“J. T. Rose, Collector,

“by J. B. Kieffer, Deputy Collector.”

On July 20, 1922, the United States filed in this court an equitable petition against the said W. H. Haar and F. H. Haar and certain banks and other defendants, setting forth the aforesaid assessments against W. H. Haar and F. H. Haar; that the tax liens had been recorded “in the records of Chatham county, Georgia,” and that “under the laws of the United States a period of ten days must elapse before there can be the issuance of a distraint warrant and a proper levy on the property of said defendants” — and praying for an injunction against the defendants disturbing the status. Thereafter by appropriate amendments the bill was enlarged in its scope, the details of which are immaterial to the question now for determination.

On January 4, 1924, the said Commissioner of Internal Revenue signed another assessment certificate against Wm. H. Haar for $641,313.86.

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Bluebook (online)
19 F.2d 399, 6 A.F.T.R. (P-H) 6728, 1927 U.S. Dist. LEXIS 1155, Counsel Stack Legal Research, https://law.counselstack.com/opinion/united-states-v-haar-gasd-1927.