United States v. Kaiser

308 F. Supp. 2d 946, 2004 WL 491833
CourtDistrict Court, E.D. Missouri
DecidedJanuary 26, 2004
Docket4:03MC00314
StatusPublished
Cited by8 cases

This text of 308 F. Supp. 2d 946 (United States v. Kaiser) 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. Kaiser, 308 F. Supp. 2d 946, 2004 WL 491833 (E.D. Mo. 2004).

Opinion

308 F.Supp.2d 946 (2004)

USA, Plaintiff,
v.
Philip A. KAISER, et al., Defendants.

No. 4:03MC00314.

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

January 26, 2004.

*947 *948 Robert D. Metcalfe, Washington, DC, for Plaintiff.

David V. Capes, Sanford J. Boxerman, Capes and Sokol, St. Louis, MO, for Defendants.

FINDINGS OF FACT AND CONCLUSIONS OF LAW AND ORDER

AUTREY, District Judge.

This matter is before the court on Petition by the United States of America to Enforce Internal Revenue Service Summonses. The matter was called for hearing on the petition on November 18, 2003. The hearing was concluded on November 19, 2003 and the matter was taken under submission by the court. For the reasons set forth below the Petition to Enforce Summonses is granted.

Facts and Background

The United States initiated this action on September 29, 2003 to obtain judicial enforcement of eight IRS summonses issued to the respondents, Philip A. Kaiser ("Kaiser") and Douglas M. Mueller ("Mueller") (collectively known as "the respondents") by IRS Revenue Agent Cheryl Kiger ("Agent Kiger") on March 6, 2003. Petition to Enforce Internal Revenue Service Summonses (# 1), ¶¶ 1 and 6; Tr. 22:25 — 24:10; Government Exhibits 1-8.

On September 29, 2003, an Order to Show Cause (Doc. # 3) was entered which required the respondents to appear and show cause why they should not be compelled to obey the IRS summonses issued to them. Agent Kiger and IRS Senior Attorney Thomas C. Pliske testified on behalf of petitioner, and respondent Kaiser testified on behalf of respondents. Government exhibits 1 through 19, and Respondents' exhibits A through R were received into evidence.

Agent Kiger is an IRS revenue agent who is authorized to issue and serve IRS summonses. She is conducting an investigation in order to determine whether the respondents organized or promoted abusive tax shelters through various entities, including (but not limited to) Jefferson Gage, LLC, and whether the respondents are liable for penalties under section 6700 of the Internal Revenue Code (26 U.S.C.). Tr. 18:22-19:10, 19:22-20:6, 21:7-18, 24:17-19, 34:16-36:2.

On February 3, 2003, Agent Kiger notified the respondents by certified mail that they were the subject of a section 6700 investigation. Tr. 20:7-25.

Agent Kiger was assigned to conduct the section 6700 investigation of the respondents after she conducted an income tax examination of two of the respondents' clients. She determined that those clients had improperly used a "charitable family limited partnership" to avoid paying federal income taxes. Kaiser had prepared the documents for the "charitable family limited partnership," and Mueller had prepared the clients' tax returns. At the conclusion of her examination of the tax returns filed by the respondents' clients, Agent Kiger determined that the charitable family limited partnership lacked economic substance, and proposed adjustments of more than $1 million against respondents' clients. Tr. 21:7-22:6, 86:8-87:4.

When Agent Kiger notified the respondents that they were the subject of a section *949 6700 investigation she informally requested that the respondents provide her with the documents listed on an "Information Document Request." The respondents refused to provide the requested documents. As a result Kiger informed them that she would issue summonses for the same information. Tr. 20:7-21:6, 22:7-24.

On March 6, 2003, Agent Kiger issued four IRS summonses to each of the respondents. On the same date, she personally served attested copies of those summonses on the respondents.[1] The summonses directed respondents to appear before Agent Kiger on March 17, 2003 and to provide the testimony and books, papers, records and other data demanded in said summonses. Tr. 30:16-23; Government ex. 1-8.

The IRS summonses represented by Government exhibits 1 through 4 were issued to Kaiser for the periods of 1998 to the present in the matters of: (1) The Kaiser Law Firm; (2) Jefferson Gage, LLC; (3) Parker Madison, LLC; and (4) Philip A. Kaiser. Government ex. 1-4. The IRS summonses represented by Government exhibits 5-8 were issued to Mueller for the periods of 1998 to the present in the matters of: (1) Mueller, Prost, Purk & Willbrand, P.C. (Mueller's CPA firm); (2) Jefferson Gage, LLC; (3) Parker Madison, LLC; and (4) Douglas M. Mueller. Government ex. 5-8.

Paragraph A of each of the summonses issued to the respondents in this case required the respondents to produce the following:

All manuals, operations handbooks, prospectuses, offering documents, or other documents which describe the plan, operations or structuring of any tax shelter plan or arrangement offered to investors or other participants, including but not limited to the following:
1. The RETIRA Plan.
2. The PIRAC Plan.
3. Charitable Trust Plus.
4. Stock Equity Loan 2002 Program.
5. Opportunity Shifting Limited Partnership.
6. Cross Over Limited Partnership.
7. Family Limited Partnership.
8. Philanthropic Limited Partnership.
9. Step Up Family Limited Partnership.
10. Private Deferred Offshore Annuity.
11. Personal Holding Company Bailout Program.
12. SUBSAP (Subchapter S Corporation Asset Protection Plan).
13. IRA Boost.
14. NQSO Freeze.
15. Home Security Trust.
16. Short Term Grantor Annuity Trust or Zero Out GRAT.
17. Sale of Family Limited Partnership Interest to an Intentionally Defective Grantor Trust.
18. Step Up Power of Appointment Trust.
19. Sale of Goodwill.
20. Acquisition Planning Tools.

Government ex. 1-8.

Agent Kiger testified that she discovered the internet website for "Jefferson Gage, LLC." The "tax planning ideas" sought in the attachments to the IRS summonses were taken from the Jefferson Gage, LLC[2] website, which identified Kaiser *950 and Mueller as its principals. Tr. 25:19-26:10, 34:16-36:2, Tr. (Vol.II) 14:12-15:24, Government ex. 11.

On March 17, 2003, the respondents did in fact appear before Agent Kiger at her office in Chesterfield, Missouri. Kaiser produced some materials that were responsive to the summonses, but Mueller did not. Tr. 30:16-31:2. Kaiser tendered to Agent Kiger a binder that was titled "Response to Form 2309 by Philip A. Kaiser, Esq., The Kaiser Law Firm, P.C., Jefferson Gage, LLC & Parker Madison, LLC." Tr. 31:2-18, and Government ex. 10. These materials included (1) a narrative authored by Kaiser and submitted in support of a finding that no Code Section 6700 violation had occurred; (2) specific "Response[s] to Form 2309" by Philip Kaiser, The Kaiser Law Firm, and Jefferson Gage, LLC and Parker Madison, LLC; and (3) written materials which described "The RETIRA Plan" (Government ex. 12), "Family Limited Partnerships: The Real Story" (Government ex. 13), "The SUBSAP Plan" presented by the Kaiser Law Firm (Government ex. 14), "The SUBSAP Plan" presented by Jefferson Gage, LLC (Government ex. 15), "Charitable Trust Plus" (Government ex. 16), "The PIRAC Plan" (Government ex. 17), and "The Stock Equity Loan 2002 Program" (Government ex. 18). Tr.

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Bluebook (online)
308 F. Supp. 2d 946, 2004 WL 491833, Counsel Stack Legal Research, https://law.counselstack.com/opinion/united-states-v-kaiser-moed-2004.