Justia Tax Law Opinion Summaries

Articles Posted in U.S. 8th Circuit Court of Appeals
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Defendant was convicted of filing a false joint income tax return with his wife for calendar year 2007 and sentenced to twenty-four months in prison. On appeal, defendant argued that there was insufficient evidence of willful false reporting, admission of unfairly prejudicial evidence of gambling expenses, and a substantively unreasonable sentence. The court held that the government's evidence was sufficient to permit a rational trier of fact to find the essential elements of the offense beyond a reasonable doubt. The court also held that defendant's casino activities were clear evidence that he personally spent a substantial amount of his business's reported income on expenditures that were not reportable as the business's costs of goods sold and that the evidence was unlikely to unfairly prejudice him. The court further held that the district court did not abuse its substantial sentencing discretion in imposing a presumptively reasonable sentence that was within the advisory guidelines range. Accordingly, the judgment of the district court was affirmed.

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Defendant was convicted of ten counts of submitting false claims against the United States and one count of conspiracy to defraud the United States with respect to claims. Defendant appealed his conviction and sentence. The court held that there was sufficient evidence to show that defendant filed each of the ten tax returns at issue and committed the charged offenses. The court also held that the district court did not procedurally err in sentencing defendant based on the amount of loss caused by defendant's offenses and based on the number of victims of his offenses.

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The United States brought this civil action under 26 U.S.C. 7408 to enjoin defendant from promoting several fraudulent tax schemes. After a court trial, the district court permanently enjoined defendant from promoting his schemes, ordered him to advise the IRS of any tax arrangements or business entities formed at his discretion, and required him to provide a copy of its order to his clients. On appeal, defendant argued that the injunction was not supported by adequate factual findings and legal conclusions, and that it was overbroad, an impermissible delegation of Article III power, and an unconstitutional prior restraint. The court rejected defendant's hypertechnical criticisms of the district court's order where section 6700 was a linguistically complex and intricate statute and where the district court need not include the entire statutory language in each of its findings and conclusions. Therefore, the court held that the district court's exhaustive order more than satisfied each of the requirements in section 6700 and affirmed the judgment of the district court.

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The Fond du Lac Band of Lake Superior Chippewa (Band) sued the the Commissioner of the Minnesota Department of Revenue (Commissioner) to prevent taxation of the out-of-state pension income of Band members. The state taxed a Band member's pension earned in Ohio but received on a reservation. The Band argued that the taxation violated due process and was preempted by federal law. The court held that because citizenship provided a constitutional nexus, Minnesota's taxation complied with due process. The court also held that Minnesota's taxation was not preempted where the case was controlled by the general rule: "Absent express federal law to the contrary, Indians going beyond reservation boundaries have generally been held subject to non-discriminatory state law otherwise applicable to all citizens of the state." Accordingly, the judgment of the district court was affirmed.

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Defendant was convicted of four counts of tax evasion and sentenced to 18 months imprisonment. Defendant appealed his convictions, arguing that the government constructively amended the indictment through the evidence presented at trial; the instructions erroneously defined "taxable income" and "good faith"; and the evidence was insufficient to support his convictions. The government appealed defendant's sentence, contending that the district court erroneously relied on a fact rejected by the jury in imposing a sentence below the applicable Sentencing Guidelines range. The court held that neither a constructive amendment nor a variance occurred; the jury was properly instructed and defendant's arguments to the contrary were rejected; and there was sufficient evidence for the jury to convict defendant. The court also held that the district court did not commit a procedural error and that the sentence was substantively reasonable. Accordingly, the judgment of the district court was affirmed.

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A jury found defendant, a licensed attorney, responsible for trust fund recovery penalties imposed by the IRS pursuant to 26 U.S.C. (I.R.C.) 6672 for unpaid employment taxes owed by Iowa Trade Bindery, Inc. (ITB). Defendant appealed the district court's judgment and "all adverse rulings and orders in this case." The court held that the district court did not abuse its discretion in admitting defendant's signed Form 2751 and an IRS officer's testimony about the form, or by instructing the jury with respect to the form and its effect. The court also held that the district court did not err in denying defendant's motion for judgment as a matter of law where the jury's verdict was supported by substantial evidence. The court concluded that defendant's remaining claims were without merit. Accordingly, the court affirmed the judgment of the district court.

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Defendant was convicted of failing to account for and pay employment taxes under 26 U.S.C. 7202, sentenced to 48 months imprisonment and fined $75,000. Defendant appealed his conviction, the calculation of loss to the government, and his fine. The court held that the district court did not err under Federal Rule of Evidence 404(b) in admitting evidence relating to defendant's compliance with Minnesota tax law. The court held however, that the district court made insufficient findings to conclude that defendant had violated section 7206(2). Accordingly, the court vacated the calculation of loss and remanded for resentencing on the existing record. Because the court remanded for resentencing, it did not reach defendant's remaining arguments.

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Defendant was convicted of one count of conspiracy to defraud the United States and two counts of aiding and assisting in the preparation of a false tax return. At trial, the government offered, without objection, evidence that defendant had failed to file personal income tax returns from 2002 to 2007. Defendant argued that his personal filing history was impermissible specific-act character evidence. The court held that defendant's failure to file tax returns from 2002 through 2007, when compared with the similar failures of his co-conspirators, were probative of the existence of a conspiracy. Although the court was skeptical of the government's argument that the jury did not view those failures in a negative light, the court could not conclude that any unfair prejudice derived from their admission substantially outweighed their probative value. Moreover, given the overwhelming evidence of guilt presented at trial, the court could not conclude that the admission of the testimony affected defendant's substantial rights. Accordingly, the conviction was affirmed.

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Defendant pleaded guilty to four counts of aiding and abetting the preparation of false federal income tax returns and was sentenced to 72 months imprisonment. Defendant argued that his experiences in Somalia during the violent Somali civil war entitled him to a sentence well below the advisory Guidelines range. At issue was whether the district court's sentence was substantively unreasonable. The court held that the district court not only considered defendant's personal history and circumstances in fashioning a sentence, but reduced the sentence it would have otherwised assessed defendant in light thereof. Therefore, the district court did not abuse its discretion in sentencing defendant to 72 months imprisonment.

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T-Mobile Central LLC ("T-Mobile") sued Missouri municipalities for refund of certain tax payments that it had paid under protest and filed ten separate lawsuits seeking to recoup tax payments made within ten specific time periods. Appellees brought ten separate class action suits against T-Mobile in state court for passing the contested tax onto customers and sought to recover any money that the Missouri municipalities refunded to T-Mobile. At issue was whether the district court had jurisdiction under the Class Action Fairness Act ("CAFA"), 28 U.S.C. 1332(d)(6), to remand the ten class actions to the state court from which they were removed. The court affirmed the judgment of the district court and held that there was no indication that appellees artificially divided the lawsuit to avoid the CAFA where the structure of appellees' class actions exactly mirrored the underlying ten lawsuits brought by T-Mobile and were driven by T-Mobile's own litigation decisions.