STANLEY A. BOONE, Magistrate Judge.
Currently before the Court is Petitioner United States of America's petition to enforce an Internal Revenue Service ("IRS") summons, which was filed on September 12, 2017. (ECF No. 1.) For the reasons set forth below, the Court recommends that Petitioner's petition to enforce the IRS summons be granted. The Court held a hearing on November 15, 2017. Petitioner's counsel Bobbie Montoya appeared with Internal Revenue Service ("IRS") Revenue Officer Michael J. Papasergia ("Revenue Officer Papasergia"). Respondent did not appear.
The petition alleges that Revenue Officer Papasergia is conducting an investigation of Respondent Jon Knutson sole member, Golden Valley Supportive Services ("Respondent") to secure the following information to collect tax liability for (a) Form 940 for the calendar periods ending December 31, 2006; December 31, 2007; December 31, 2008; and December 31, 2009; and (b) Form 941 for the quarterly periods ending September 30, 2006; December 31, 2006; March 31, 2007; June 30, 2007; September 30, 2007; December 31, 2007; March 31, 2008; June 30, 2008; September 30, 2008; December 31, 2008; March 31, 2009; June 30, 2009; September 30, 2009; December 31, 2009; March 31, 2010; and September 30, 2016.
On March 20, 2017, Revenue Officer Papasergia issued an IRS summons directing Respondent to testify and produce certain documents related to the investigation on April 20, 2017, at 4825 Coffee Road, Bakersfield, California. On March 21, 2017, Revenue Officer Papasergia left an attested copy of the summons at the last and usual place of abode for Respondent, 11303 Clarion River Drive, Bakersfield, California by leaving a sealed envelope securely taped to the front door.
On September 12, 2017, the instant petition was filed to enforce the IRS summons. On September 14, 2017, an order issued requiring Respondent to show cause why he should not be compelled to obey the IRS summons issued. On October 12, 2017, a certificate of service was filed showing that Respondent was personally served on October 4, 2017. On October 12, 2017, a copy of the points and authorities filed on September 14, 2017 and the order to show cause issued September 14, 2017 were mailed to Respondent at 11303 Clarion River Drive, Bakersfield, CA 93311.
Pursuant to 26 U.S.C. § 7602, the IRS has the authority to issue summonses to investigate tax returns, tax liabilities, and the collection of any tax liabilities. Enforcement of IRS summonses is governed by 26 U.S.C. § 7604, which states, in pertinent part:
26 U.S.C. 7604(b). Jurisdiction of this Court to enforce summonses is provided under 26 U.S.C. § 7402(b).
In issuing an IRS summons:
In this instance, Revenue Officer Papasergia has submitted a declaration stating that the purpose of the investigation is for collection information for federal income tax for (a) Form 940 for the calendar periods ending December 31, 2006; December 31, 2007; December 31, 2008; and December 31, 2009; and (b) Form 941 for the quarterly periods ending September 30, 2006; December 31, 2006; March 31, 2007; June 30, 2007; September 30, 2007; December 31, 2007; March 31, 2008; June 30, 2008; September 30, 2008; December 31, 2008; March 31, 2009; June 30, 2009; September 30, 2009; December 31, 2009; March 31, 2010; and September 30, 2016. The material sought is not already in the possession of the IRS and is necessary to secure collection information for federal income tax for the (a) Form 940 for the calendar periods ending December 31, 2006; December 31, 2007; December 31, 2008; and December 31, 2009; and (b) Form 941 for the quarterly periods ending September 30, 2006; December 31, 2006; March 31, 2007; June 30, 2007; September 30, 2007; December 31, 2007; March 31, 2008; June 30, 2008; September 30, 2008; December 31, 2008; March 31, 2009; June 30, 2009; September 30, 2009; December 31, 2009; March 31, 2010; and September 30, 2016.
Revenue Officer Papasergia stated that he was authorized to issue the summons and all the requisite administrative steps required by the Internal Revenue Code for issuance of the summons have been taken. Petitioner has met its burden of meeting the
As Respondent has not challenged the issuance of the summons, he has not met his burden to show an abuse of process or a lack of institutional good faith.
Based upon the foregoing, it is HEREBY RECOMMENDED that:
These findings and recommendations are submitted to the district judge assigned to this action, pursuant to 28 U.S.C. § 636(b)(1)(B) and this Court's Local Rule 304. Within fourteen (14) days of service of these findings and recommendation, any party may file written objections to these findings and recommendations with the Court and serve a copy on all parties. Such a document should be captioned "Objections to Magistrate Judge's Findings and Recommendations." The district judge will review the magistrate judge's findings and recommendations pursuant to 28 U.S.C. § 636(b)(1)(C). The parties are advised that failure to file objections within the specified time may result in the waiver of rights on appeal.