From Casetext: Smarter Legal Research

United States v. Metcalf

Circuit Court of Appeals, Ninth Circuit
Mar 21, 1946
154 F.2d 56 (9th Cir. 1946)

Opinion

No. 11059.

February 18, 1946. Rehearing Denied March 21, 1946.

Appeal from the District Court of the United States for the Southern District of California, Central Division; Claude McColloch, Judge.

Proceeding in the matter of F.P. Newport Corporation, Limited, bankrupt, wherein H.F. Metcalf, trustee in bankruptcy, was directed to pay the claim of the United States of America for taxes for the calendar years 1938 and 1939. From an order of the District Court affirming an order of the referee directing the trustee to pay Security-First National Bank of Los Angeles, a secured creditor of the bankrupt, a stated amount out of income received from trust property on which taxes were due and owing to the United States, the United States of America appeals.

Order reversed.

Samuel O. Clark, Jr., Asst. Atty. Gen., Sewall Key, A.F. Prescott, Louise Foster, and Harold C. Wilkenfeld, Sp. Assts. to Atty. Gen., and Charles H. Carr, U.S. Atty., E.H. Mitchell, Asst. U.S. Atty., and Eugene Harpole, Sp. Atty., BIR., all of Los Angeles, Cal., for appellant.

Bailie, Turner Lake, of Los Angeles, Cal., for appellee H.F. Metcalf.

Before GARRECHT, MATHEWS and HEALY, Circuit Judges.



In Security-First National Bank v. United States, 9 Cir., 153 F.2d 563, we affirmed an order which, on February 6, 1945, affirmed an order of a referee in bankruptcy which, on June 6, 1944, directed H.F. Metcalf, trustee in bankruptcy of the estate of F.P. Newport Corporation, Limited, bankrupt, to pay a claim of the United States, appellant here, for income taxes ($19,363.65, plus interest) assessed against the trustee for the calendar years 1938 and 1939. The taxes were assessed on income (rents and royalties) received by the trustee from the trust property mentioned in Security-First National Bank v. United States, supra. The order of June 6, 1944, directed the trustee to pay appellant's claim out of income received or to be received from the trust property.

The trustee did not obey the order of June 6, 1944. Instead, he applied for and, on October 17, 1944, obtained from the referee an order directing him to pay Security-First National Bank of Los Angeles, a secured creditor of the bankrupt, $5,264.11 out of income received from the trust property — income on which taxes were then, and are now, due and owing to appellant. The court affirmed the order of October 17, 1944, by an order entered on April 13, 1945. From the order of April 13, 1945, appellant has appealed.

See Security-First National Bank v. United States, supra.

As indicated above, the order of October 17, 1944, in effect, directed that, before paying taxes on income received by him from the trust property, the trustee should pay the bank $5,264.11 out of such income. Thus, in effect, it was held that the bank's right in and to such income was superior to appellant's right to taxes thereon. We have held otherwise. The order of October 17, 1944, should not have been applied for, granted or affirmed.

See Security-First National Bank v. United States, supra.

The order of April 13, 1945, here appealed from, is reversed.


Summaries of

United States v. Metcalf

Circuit Court of Appeals, Ninth Circuit
Mar 21, 1946
154 F.2d 56 (9th Cir. 1946)
Case details for

United States v. Metcalf

Case Details

Full title:UNITED STATES v. METCALF et al. In re F.P. NEWPORT CORPORATION, LIMITED

Court:Circuit Court of Appeals, Ninth Circuit

Date published: Mar 21, 1946

Citations

154 F.2d 56 (9th Cir. 1946)