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Mouton v. Sinclair Oil and Gas Company

United States Court of Appeals, Fifth Circuit
May 19, 1969
410 F.2d 717 (5th Cir. 1969)

Summary

In Mouton the defendant corporation, Sinclair Oil and Gas Company, was sued by the same official, (although a different individual occupied the position), to collect the identical tax. Sinclair removed the case to federal court and obtained a determination that the Cocreham case controlled the validity of the assessed tax.

Summary of this case from State of Ala. ex Rel. Galanos v. Star Serv.

Opinion

No. 26751.

April 22, 1969. Rehearing Denied May 19, 1969.

Cyrus A. Greco, Carl E. Cooper, Emmett E. Batson, John B. Levy, Huey H. Breaux, La. Dept. of Revenue, Legal Div., Baton Rouge, La., for plaintiff-appellant.

Clyde R. Brown, Monroe, for defendant-appellee; Shotwell, Brown Sperry, Monroe, La., of counsel.

Before AINSWORTH and SIMPSON, Circuit Judges, and MITCHELL, District Judge.


This suit was originally filed by the Louisiana Collector of Revenue in a Louisiana state court to collect certain state severance taxes claimed to be due by defendant Sinclair Oil and Gas Company. Sinclair removed the suit to the federal district court and the Collector's motion to remand for lack of jurisdiction was denied. Sinclair's motion for summary judgment based on our prior holding in Mississippi River Fuel Corporation v. Cocreham, 5 Cir., 1967, 382 F.2d 929, rehearing denied, 1968, 390 F.2d 34, cert. denied, Mouton v. Mississippi River Fuel Corp., 390 U.S. 1015, 88 S.Ct. 1264, 20 L.Ed.2d 164 (1968), was granted and the Collector of Revenue has appealed.

All of the legal contentions raised by the Collector in this case have heretofore been considered and ruled on adversely to him by this Court in the Mississippi River Fuel case. (See our per curiam decision released this day in the companion cases of Shell Oil Co. v. Mouton, No. 26493, and Mouton v. Shell Oil Co., No. 26730, 410 F.2d 715)

Nor is there any merit in the Collector's contention that this suit was improperly removed from the Louisiana state court to the federal district court since it is apparent that the federal court has jurisdiction both under diversity of citizenship, 28 U.S.C. § 1332, in that the Collector is acting unconstitutionally and therefore in an individual capacity and not as the official representative of the State of Louisiana, and because a federal question is presented, 28 U.S.C. § 1331, in that the Collector is attempting to collect severance taxes on oil and gas produced from a federal military enclave, Barksdale Air Force Base, Louisiana, on which the United States has exclusive jurisdiction as provided by Article I, Section 8, Clause 17, of the United States Constitution. See Mississippi River Fuel Corporation, 382 F.2d at 934, citing Georgia R.R. Banking Co. v. Redwine, 342 U.S. 299, 72 S.Ct. 321, 96 L.Ed. 335 (1952), and Ex parte Young, 209 U.S. 123, 28 S.Ct. 441, 52 L.Ed. 714 (1908), in support thereof. It was proper, under 28 U.S.C. § 1446, to consider the stipulation of fact, together with the allegations of the complaint, on the petition of the Collector for removal.

Being of the opinion, therefore, that our holding in Mississippi River Fuel, supra, is conclusive as to all the legal issues presented in this case, the judgment appealed from is

Affirmed.


Summaries of

Mouton v. Sinclair Oil and Gas Company

United States Court of Appeals, Fifth Circuit
May 19, 1969
410 F.2d 717 (5th Cir. 1969)

In Mouton the defendant corporation, Sinclair Oil and Gas Company, was sued by the same official, (although a different individual occupied the position), to collect the identical tax. Sinclair removed the case to federal court and obtained a determination that the Cocreham case controlled the validity of the assessed tax.

Summary of this case from State of Ala. ex Rel. Galanos v. Star Serv.
Case details for

Mouton v. Sinclair Oil and Gas Company

Case Details

Full title:Ashton J. MOUTON, Collector of Revenue, State of Louisiana…

Court:United States Court of Appeals, Fifth Circuit

Date published: May 19, 1969

Citations

410 F.2d 717 (5th Cir. 1969)

Citing Cases

State of Ala. ex Rel. Galanos v. Star Serv.

The defendant's proposed extension, however, goes too far. Star proffers two cases as supporting its…

Shell Oil v. Secretary, Rev. Tax.

4 U.S.C. § 110(c).See also Shell Oil v. Mouton, 410 F.2d 715 (5th Cir. 1969) and Mouton v. Sinclair Oil and…