Opinion · Court of Appeals for the Eighth Circuit

Frank E. Vennes, Jr. v. An Unknown Number of Unidentified Agents of the United States of America

26 F.3d 1448

Type
Opinion
Court
Court of Appeals for the Eighth Circuit
Jurisdiction
Federal
Date
1994-06-16
Topic
litigation

noting that Congress has provided specific and meaningful remedies for taxpayers challenging overzealous tax assessment and collection activities | declining to recognize Bivens action against IRS agents for alleged due process violations in connection with money laundering investigation | denying a Bivens action alleging numerous constitutional violations leading to illegal tax assessments and collections | taxpayer cannot bring Bivens action against IRS agents to challenge tax collection and assessment practices | "By pleading guilty, [plaintiff] elected to forego the post- deprivation process best suited to determining whether the agents in fact violated his due process rights -- the criminal trial." | no Bivens action against federal official where § 7433 provides remedy

Citator

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