Beatty v. United States, 15284.

Decision Date22 November 1955
Docket NumberNo. 15284.,15284.
Citation227 F.2d 350
PartiesRichard BEATTY, Appellant, v. UNITED STATES of America, ex rel. Frank M. HALPIN, District Director of Internal Revenue, Appellee.
CourtU.S. Court of Appeals — Eighth Circuit

James P. Irish, Des Moines, Iowa, for appellant.

Fred E. Youngman, Sp. Asst. to the Atty. Gen. (H. Brian Holland, Asst. Atty. Gen., Ellis N. Slack, Sp. Asst. to the Atty. Gen., Roy L. Stephenson, U. S. Atty., and Robert J. Spayde and John C. Stevens, Asst. U. S. Attys., Des Moines, Iowa, were with him on the brief), for appellee.

Before JOHNSEN, COLLET, and VAN OOSTERHOUT, Circuit Judges.

COLLET, Circuit Judge.

The appellant, Richard Beatty, is engaged in a dispute with the Internal Revenue Service as to whether several of those employed by him are employees for whom Beatty should pay Social Security Taxes, or whether those persons are independent contractors. An Internal Revenue Agent was duly assigned to investigate the status of those persons. The Agent was unable to complete the investigation because Beatty refused to produce his records pertaining to their employment. Beatty's refusal was based upon his determination that the individuals in question were independent contractors and consequently the details of their employment were none of the Agent's business. The Agent and his superiors insisted upon determining that question for themselves from the facts, including Beatty's records. A "Director's Summons to Testify and to Produce Books and Records" was issued by the District Director of Internal Revenue for the District of Iowa and served upon Beatty by the Internal Revenue Agent, commanding him to appear before the District Director and produce the desired records. Beatty appeared at the time and place specified in the summons. The Agent appeared for his superior, the District Director. Mr. Beatty refused to produce his books and records pertaining to the persons whose status was under investigation and refused to give the Agent their names or any other information about them. The District Director formally complained to the United States District Court for the Southern District of Iowa, in the name of the United States, requesting an order of that court requiring Beatty to show cause why he should not obey the summons and produce the records, or failing to do so be punished therefor. The Order to Show Cause was issued. Beatty appeared with counsel and again refused to produce the records for the same reason he had refused to produce them in response to the summons. Whereupon, the District Court issued an order and judgment directing that Beatty produce the records no later than a date fixed, or failing to do so that he be committed to the custody of the Attorney General until he did so. Beatty appealed and the court stayed the order of commitment pending the disposition of the appeal.1

Upon this appeal Beatty contends that the District Director did not lay the proper procedural foundation for invoking Sections 76022 and 76043 of the Internal Revenue Code of 1954, 26 U.S. C.A. §§ 7602, 7604.

He asserts that the Internal Revenue Code, Section 3615(d), Title 26 U.S.C.A., specifically provides that the "Summons" shall be served "by a Deputy Director" and since the summons was served by an Internal Revenue Agent the service was not good. The difficulty with Mr. Beatty's position in this particular is that he appears to have been operating under the 1939 Internal Revenue Code which has been antiquated in this regard by Sections 7602, 7603, 7604, and 7701(a) (12) of the Internal Revenue Code of 1954, 26 U.S.C.A. §§ 7602-7604, 7701(a) (12). By Section 7602 of the 1954 Code "the Secretary or his delegate" is authorized to examine the books of the taxpayer. By Section 7603 of the 1954 Code the summons may be served by "the Secretary or his delegate". By section 7701(a) (12) of the 1954 Code the term "Secretary" is defined to mean the Secretary of the Treasury, and the term, "`Secretary or his delegate'" is defined as "any officer, employee, or agency of the Treasury Department duly authorized by the Secretary (directly, or indirectly by one or more redelegations of authority) to perform the function mentioned * * *." By Section 7805(a) of the 1954 Code, 26 U.S.C.A. § 7805(a), Congress authorized the "Secretary or his delegate" to prescribe "all needful rules and regulations for the enforcement of this title, including all rules and regulations as may be necessary by reason of any alteration of law in relation to internal revenue." Pursuant to the authority given...

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5 cases
  • Daly v. United States
    • United States
    • U.S. Court of Appeals — Eighth Circuit
    • April 11, 1968
    ...Jurisdiction of the District Court was invoked by service upon the appellant by an order to show cause. Cf. Beatty v. United States ex rel. Halpin, 227 F.2d 350 (8 Cir. 1955); Wild v. United States, 362 F.2d 206 (9 Cir. 1966). The Supreme Court has stated that an action under § 7604(a) is c......
  • United States v. Zenith-Godley Company
    • United States
    • U.S. District Court — Southern District of New York
    • February 8, 1960
    ...8 Cir., 1958, 256 F.2d 186, 192; Government of Virgin Islands v. Gordon, 3 Cir., 1957, 244 F.2d 818, 820-821; Beatty v. United States, 8 Cir., 1955, 227 F.2d 350, 352; Sanders v. Commissioner of Internal Revenue, 10 Cir., 1955, 225 F.2d 629, In the cases cited above, it is well understood t......
  • United States v. Matras, 73-1108.
    • United States
    • U.S. Court of Appeals — Eighth Circuit
    • November 29, 1973
    ...all the minutes so that the IRS agents could separate for themselves the relevant materials from the irrelevant. Cf. Beatty v. United States, 227 F.2d 350 (8th Cir. 1955). Interestingly, the supposed irrelevant minutes were those concerning proposed projects and contracts. Acker, of course,......
  • SM Sartori, Inc. v. SS KASTAV, 73 Civ. 2326.
    • United States
    • U.S. District Court — Southern District of New York
    • May 11, 1976
    ... ... No. 73 Civ. 2326 ... United" States District Court, S. D. New York ... May 11, 1976.412 F. Supp. 1182\xC2" ... ...
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