United States v. Wilson
This text of 172 F. Supp. 93 (United States v. Wilson) is published on Counsel Stack Legal Research, covering District Court, N.D. California primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.
Opinion
Heretofore, the Court adjudged the defendant guilty of six counts of wilfully attempting to defeat and evade the payment of employee income taxes withheld by him from employees’ wages. § 2707 (c), Internal Revenue Code of 1939, 26 U.S.C.A. § 2707(c). Sentence was imposed. Upon appeal, the Court of Appeals, reversed the judgment of conviction and remanded the cause to this Court “for reconsideration in accordance with the principles set forth in this opinion, and for further findings by the trial court, after the Government has introduced evidence, if any, and the defendant has been given the right to respond to any new evidence produced by the Government, if he desires to do so.”1
The Government elected not to introduce any further evidence. Hence the defendant made no evidentiary response. The Court thereupon heard arguments of counsel with respect to the reconsideration of its former decision. I have reconsidered the former decision in the light of the opinion of the Court of Appeals and of the arguments and written suggestions of counsel.
The Court of Appeals, upon the basis of colloquies between the Court and counsel during the trial, determined that the Court applied wrong legal standards at the time of decision. It would be unseemly to question the premise of this Appellate determination. However, there would seem to be uncertainty as [94]*94to the nature of these colloquies.2 It is sufficient to say that at the time of decision the Court adjudged the defendant guilty because it was convinced beyond a reasonable doubt that defendant had wilfully and for the evil motive of tax evasion affirmatively committed the acts charged in the indictment.3
No special findings, pursuant to Rule 23, F.R.Cr.P., 18 U.S.C.A., were requested. This, of course, means findings requested on specified issues. The opinion of the Court of Appeals recognized that the right to special findings had not been preserved on appeal, but declared that the circumstances of the case required that appellant (defendant) be given “the opportunity to question the propriety of the trial court’s conception of the constituent elements of the offense”.
Findings
The Court finds that its “conception of the constituent elements of the offense” is the same now as it was at the time of judgment, namely that for a conviction the evidence must show beyond a reasonable doubt the defendant wilfully [95]*95and with the evil affirmative motive of tax evasion committed the acts charged in the indictment in violation of section 2707(c) of the Internal Revenue Code of 1939.
The Court was and is convinced beyond a reasonable doubt and finds that the defendant wilfully and with the evil motive of tax evasion did commit said acts.
Decision
Wherefore the Court adjudges the defendant guilty of the charges set out in counts 1 to 6 inclusive of the indictment.
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Cite This Page — Counsel Stack
172 F. Supp. 93, 3 A.F.T.R.2d (RIA) 1564, 1958 U.S. Dist. LEXIS 3243, Counsel Stack Legal Research, https://law.counselstack.com/opinion/united-states-v-wilson-cand-1958.