Long v. Bacon

Decision Date17 February 1965
Docket NumberCiv. No. 3-635-D.
Citation239 F. Supp. 911
PartiesWalter J. LONG and Kenneth J. Mundt, Plaintiffs, v. Ernest W. BACON, District Director of Internal Revenue, Defendant.
CourtU.S. District Court — Southern District of Iowa

Richard L. Stevens, Davenport, Iowa, for plaintiffs.

Donald A. Wine, U. S. Atty., Des Moines, Iowa, and Steven K. Cochran and A. C. Murphy, Dept. of Justice, Washington, D. C., for defendant.

STEPHENSON, Chief Judge.

This matter is now before the Court upon the issue of the form of judgment that should be entered against the plaintiff, Kenneth J. Mundt. On November 12, 1964, the Court at the close of plaintiffs' and defendant's evidence, sustained defendant's motion for a directed verdict finding against the plaintiffs upon their complaint and for the government upon its third party complaint. There being some question as to the extent of judgment against the plaintiff, Kenneth J. Mundt, the Court requested that briefs be filed. This having been done the Court decides the following:

The plaintiff, Mundt, resigned his position as an officer and director of Production Aids Corporation on June 18, 1959, and it was stipulated by the parties at the time of trial that he would not be liable for any penalty pertaining to taxes collected by that corporation after said resignation in the event a verdict was rendered for the government upon its third party complaint. Specifically, it was agreed that his liability would be reduced 12/90ths of the amount owed for the quarter in which he resigned. (Plaintiff Mundt resigned 12 days before the end of the second quarter which includes the months of April, May and June.) The only issue before the Court now is whether the plaintiff Mundt is liable for those taxes collected during the period from the beginning of the second quarter up to his resignation. Plaintiff contends that he is not, since he resigned prior to the final date when the quarterly return for the second quarter of 1959 was to be filed and the collected taxes were to be paid over to the government.

Once taxes are collected they become a trust fund in the hands of the employer. 26 U.S.C.A. § 7501. The liability for payment of taxes collected arises upon the collection of those taxes and not at the date when the statute requires that they be paid over to the government. See Tiffany v. United States, 228 F.Supp. 700, 702 (D.C.N.J. 1963); In re Serignese, 214 F.Supp. 917 (D.C.Conn.1963). Therefore, the Court finds that...

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13 cases
  • Ferguson v. U.S.
    • United States
    • U.S. District Court — Southern District of Iowa
    • 6 Mayo 2004
    ...and not the date when the statute requires that they be paid over to the government." Olsen, 952 F.2d at 238 (citing Long v. Bacon, 239 F.Supp. 911, 912 (S.D.Iowa 1965)). Here, the tax was collected from the customer at the time the ticket was purchased. The tax therefore was collected prio......
  • Newsome v. United States
    • United States
    • U.S. Court of Appeals — Fifth Circuit
    • 10 Septiembre 1970
    ...required by Treasury Regulation 31.6302(c)-1. 9 See Scott v. United States, 173 Ct.Cl. 650, 364 F.2d 292, 295 (1965); Long v. Bacon, 239 F.Supp. 911, 912 (S.D. Iowa 1965). 10 Monday v. United States, 421 F.2d 1210, 1216 (7 Cir. 1970); see 22 A.L.R. 3d 88-89 11 Gefen v. United States, supra;......
  • United States v. De Beradinis
    • United States
    • U.S. District Court — District of Connecticut
    • 29 Mayo 1975
    ...are withheld from wages, not at some subsequent time when payment is due or the return is to be filed. 26 U. S.C. § 7501; Long v. Bacon, 239 F.Supp. 911 (S.D.Iowa 1965). Even if Adley were also in control of McFaddin beginning on April 1, 1959, defendant has not established that Adley was t......
  • Olsen v. U.S.
    • United States
    • U.S. Court of Appeals — Eighth Circuit
    • 26 Diciembre 1991
    ...the collection of those taxes and not the date when the statute requires that they be paid over to the government." Long v. Bacon 239 F.Supp. 911, 912 (S.D.Iowa, 1965). See also Mulee v. United States, 648 F.Supp. 1181, 1185 (N.D.Ill.1986), and citations therein. If an employer withholds th......
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