United States v. Simones

District Court, D. New Mexico·Decided August 31, 2021·No. 1:20-cv-00795·Unknown

Opinion

IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF NEW MEXICO

UNITED STATES OF AMERICA, ) ) Plaintiff, ) ) v. ) ) Case No. 1:20-cv-00795-PJK-SCY JAMES M. SIMONES; Individually ) and as Trustee of the ANCIENT OF ) DAYS TRUST; JO ANN HARTMAN ) STOCKTON as Trustee of the ANCIENT ) OF DAYS TRUST; BROOKY ) STOCKTON as Trustee of the ANCIENT ) OF DAYS TRUST; and ADELINA ) MONNET, ) ) Defendants. )

MEMORANDUM OPINION AND ORDER GRANTING UNITED STATES’ MOTION FOR SUMMARY JUDGMENT (ECF No. 87)

THIS MATTER comes on for consideration of the United States’ Motion for Summary Judgment filed July 29, 2021 (ECF No. 87). After receiving a time extension, see ECF No. 94, Defendant James M. Simones filed a response to the motion and an affidavit on August 23, 2021. ECF Nos. 97, 99. Defendants Jo Ann Hartman Stockton and Brooky Stockton also filed a response on August 23 arguing against summary judgment. ECF No. 98. Defendant Adelina Monnet failed to file a response to the government’s motion, which “constitutes consent to grant the motion” as to her. D.N.M.LR-Civ. 7.1(b), 7.4(a). The court finds that the government’s motion is well taken and should be granted. Background

On August 10, 2020, the government filed suit against Mr. Simones in order to collect unpaid federal income taxes as well as additional penalties and accrued interest. Am. Compl. at 1 (ECF No. 2). In addition to Mr. Simones, the government also filed suit against Ms. Monnet, Mr. Stockton, and Ms. Stockton.1 Id. at 2. Ms. Monnet is a “close associate” of Mr. Simones, and the government alleges she and Mr. Simones have made fraudulent property transfers that may affect its ability to satisfy the tax liabilities. Id. at

2, 12–14. Mr. Stockton, Ms. Stockton, and Mr. Simones are all trustees of the Ancient of Days Trust (“Trust”). Id. at 2. The government contends the Trust holds title to property as a “nominee” of Mr. Simones and claims that property in order to satisfy the tax liability. Id. at 9–10. As for Mr. Simones’ taxes, the IRS made assessments against him for unpaid

taxes, interest, and penalties related to tax periods in 2007, 2008, 2009, 2011, and 2012. Id. at 3; Ex. 1 (ECF No. 2-1); Ex. 19 (ECF No. 87-1). As of May 31, 2021, the balance was $284,684.04. Mot. Summ. J. at 2–3; see Exs. 1, 19. In an attempt to recover the unpaid balance, the IRS also gave notice and demand for payment of the unpaid tax liabilities. Am. Compl. at 5; Ex. 20 (ECF No. 87-2). However, Mr. Simones has yet to

make a full payment. Id. As a result, the government turned to filing liens against Mr.

1 These parties were properly added under 26 U.S.C. § 7403, which provides that “[a]ll persons having liens upon or claiming any interest in the property involved in such action shall be made parties thereto.” Simones’ property. Beginning in November 2011, the IRS filed numerous public Notices of Federal Tax Lien (“NFTL”) in the real property records of Torrance and Bernalillo

Counties, New Mexico. Ex. 2 (ECF No. 2-2). The government recorded these NFTLs against Mr. Simones and the Trust. Id.; I.R.C. § 6323(f)(1)(A)(i). The government seeks to enforce these tax liens against three properties: (1) the Holiday property, (2) the Johnson property, and (3) the Zamora property. Am. Compl. at 6–9. First, the Holiday property consists of the land (and all the improvements, buildings, and appurtenances) located at 205 Holiday Circle, Moriarty, New Mexico

87035. Id. at 7. The Holiday property’s legal description is: LOT NUMBERED THREE (3) IN BLOCK NUMBERED TWO (2) OF RINCON ESCONDIDO ADDITION TO THE CITY OF MORIARTY, NEW MEXICO.

Id. at 7–8. Mr. Simones obtained this property in October 2000; the deed was recorded in Torrance County on February 27, 2001. Ex. 3. (ECF No. 2-3). On September 14, 2004, Mr. Simones transferred the Holiday property to Ms. Monnet via a quitclaim deed. Ex. 5 (ECF No. 2-5). Then, on April 25, 2005, Ms. Monnet transferred the property via quitclaim deed to the Trust. Ex. 7 (ECF No. 2-7). Both quitclaim deeds appear to include the same handwriting, which the government believes belongs to Mr. Simones. Am. Compl. at 10; compare Ex. 5 with Ex. 7. Mr. Simones has remained connected to the Holiday property following the transfers. For example, his mailing address — P.O. Box 2054, Moriarty, New Mexico 87035-2054 — is associated with the Holiday property. Am. Compl. at 10. Mr. Simones requested utility service for the property and he is listed as its “landlord.” Ex. 12 (ECF No. 2-12); Ex. 13 (ECF No. 2-13). Mr. Simones and his P.O. box are also listed on the Holiday property’s bills, which he has personally paid. Exs. 12–13; Ex. 14 (ECF No. 2-

14); Ex. 15 (ECF No. 2-15). Second, the Johnson property consists of the land (and all the improvements, buildings, and appurtenances) located at 16 Johnson Lane, McIntosh, New Mexico 87032. Am. Compl. at 8. The Johnson property’s legal description is: TRACT DESIGNATED “B-1-C”, SITUATE (SIC) WITHN THE NORTHWEST QUARTER (NW ¼) OF SEC THIRTY ONE (31), TOWNSHIP EIGHT (8) NORTH, RANGE NINE (9) EAST, N.M.P.M., AS THE SAME IS SHOWN AND DESIGNATED ON THAT CERTAIN PLOT ENTITLED “LANDS OF DR. PAUL H. JOHNSON, PREPARED BY TIMOTHY ODEN , N.M.R.L.P.S. #8667 ON MAY 23, 1988, AT 4:17 O’CLOCK, PM, AS DOCUMENT NUMBER 79391, AND FILED IN CABNET (SIC) B, SLIDE 153, PLAT RECORDS OF TORRANCE COUNTY, NEW MEXICO, FIELD IN THE OFFICE OF THE COUNTY CLERK OF TORRANCE COUNTY, NEW MEXICO, SUBJECT THERETO, EASEMENTS, RESTRICTIONS, AND RESERVATIONS OF RECORD IN THE OFFICE OF THE CLERK OF SAID COUNTY AND STATE.

Id. On July 16, 2008, the Johnson property was transferred to the Trust from a third party via a special warranty deed. Ex. 8 (ECF No. 2-8). The deed was recorded on August 30, 2010, in Torrance County. Id. Similar to the Holiday property, Mr. Simones is also connected to the Johnson property. Mr. Simones pays the utilities for the property and is listed on the utilities account. Ex. 16 (ECF No. 2-16). Moreover, Mr. Simones made a “Manufactured Home Request to Change Valuation Status” with Torrance County for the Johnson property in 2012. Ex. 17 (ECF No. 2-17). Third, the Zamora property consists of the land (and all the improvements, buildings, and appurtenances) located at 15 N. Zamora Road, Tijeras, New Mexico

87059. Am. Compl. at 9. The Zamora property’s legal description is: A CERTAIN TRACT OF LAND SITUATE (SIC) IN SECTION 14, TOWNSHIP 10 NORTH, RANGE 5 EAST, NEW MEXICO PRINCIPAL MERIDIAN, WITHIN THE CANON DE CARNUE GRANT, COUNTY OF BERNALILLO, STATE OF NEW MEXICO.

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

United States v. Simones, (D.N.M. 2021).

United States v. Simones (United States v. Simones) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

Related

United States v. Rodgers
461 U.S. 677 (Supreme Court, 1983)
Anderson v. Liberty Lobby, Inc.
477 U.S. 242 (Supreme Court, 1986)
Liteky v. United States
510 U.S. 540 (Supreme Court, 1994)
United States v. Fior D'Italia, Inc.
536 U.S. 238 (Supreme Court, 2002)
Holman v. United States
505 F.3d 1060 (Tenth Circuit, 2007)
United States v. Krause
637 F.3d 1160 (Tenth Circuit, 2011)
Glenn Crain v. Commissioner of Internal Revenue
737 F.2d 1417 (Fifth Circuit, 1984)
United States v. Gerads
999 F.2d 1255 (Eighth Circuit, 1993)
United States v. Wankel
475 F. App'x 273 (Tenth Circuit, 2012)
United States v. Tingey
716 F.3d 1295 (Tenth Circuit, 2013)
Schmitz v. Smentowski
785 P.2d 726 (New Mexico Supreme Court, 1990)
Wnuck v. Commissioner
136 T.C. No. 24 (U.S. Tax Court, 2011)
Banner Bank v. First American Title Insurance
916 F.3d 1323 (Tenth Circuit, 2019)
Arlin Geophysical Company v. United States
946 F.3d 1234 (Tenth Circuit, 2020)
Hinman v. Rogers
831 F.2d 937 (Tenth Circuit, 1987)
Lonsdale v. United States
919 F.2d 1440 (Tenth Circuit, 1990)
Thomas v. Wichita Coca-Cola Bottling Co.
968 F.2d 1022 (Tenth Circuit, 1992)
Guthrie v. Sawyer
970 F.2d 733 (Tenth Circuit, 1992)