Opinion · Court of Appeals for the Fifth Circuit

United States v. Lester Irvin Reeves

United States v. Lester Irvin Reeves, 752 F.2d 995 (5th Cir. 1985)

Type
Opinion
Court
Court of Appeals for the Fifth Circuit
Jurisdiction
Federal
Date
1985-01-28
Topic
general

holding that the defendant’s filing of frivolous common law liens against an IRS agent constituted a prohibited corrupt endeavor under 26 U.S.C. § 7212(a) | placing a common-law lien in preparation for a lawsuit against a third party is not protected by the First Amendment if it is done for “corrupt” purposes | finding section 7212(a) “directed at efforts to bring about a particular advantage such as impeding the collection of one’s taxes, the taxes of another, or the auditing of one’s or another’s tax records” | interpreting “corruptly endeavor” as related to obstructing the due administration of the tax laws | defining ““corruptly” as an act “done with an intent to give some advantage inconsistent with the official duty and rights of others” (emphasis in original) (quoting United States v. Ogle, 613 F.2d 233, 238 (10th Cir. 1979)) | Reading “corruptly” to mean an intent to obtain an unlawful benefit or advantage | comparing an obstruction statute applying only to judicial .proceedings, in which many acts can be deemed “per se corrupt,” with an obstruction statute not limited to conduct in court, which thus required a heightened showing of .corrupt intent | “A statute should be read to avoid rendering its language redundant if reasonably possible.” | "A statute should be read to avoid rendering its language redundant if reasonably possible.” | “Although it is within the power of an agency to amend or repeal its own regulations, an agency is not free to ignore or violate its regulations while they remain in effect.” (cleaned up) | “A disgruntled taxpayer may annoy a revenue agent with no intent to gain any advantage or benefit other than the satisfaction of annoying the agent. Such actions by taxpayers are not to be condoned, but neither are they ‘corrupt’ under section 7212(a)” | interpreting the corrupt tax obstruction statute

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