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United States v. Ford

United States District Court, Ninth Circuit, California, C.D. California
Jan 11, 2011
CV 11-283 (C.D. Cal. Jan. 11, 2011)

Opinion

          ANDRÉ BIROTTE Jr., United States Attorney, SANDRA R. BROWN, Assistant United States Attorney, Attorneys for the United States of America, Petitioner.


          ORDER TO SHOW CAUSE

          PERCY ANDERSON, District Judge.

         Upon the Petition and supporting Memorandum of Points and Authorities, and the supporting declarations to the Petition, the Court finds that Petitioner has established its prima facie case for judicial enforcement of the subject Internal Revenue Service ("IRS" and "Service") summonses. See United States v. Powell , 379 U.S. 48, 57-58, 85 S.Ct. 248, 13 L.Ed.2d 112 (1964); see also Crystal v. United States , 172 F.3d 1141, 1143-1144 (9th Cir. 1999); United States v. Jose , 131 F.3d 1325, 1327 (9th Cir. 1997); Fortney v. United States , 59 F.3d 117, 119-120 (9th Cir. 1995) (the Government's prima facie case is typically made through the sworn declaration of the IRS agent who issued the summons); accord, United States v. Gilleran , 992 F.2d 232, 233 (9th Cir. 1993).

         Therefore, IT IS ORDERED that Respondent appear before this District Court of the United States for the Central District of California, in Courtroom No. ___ 15 ___,

[X] United States Courthouse 312 North Spring Street, Los Angeles, California, 90012

[ ] Roybal Federal Building and United States Courthouse 255 E. Temple Street, Los Angeles, California 90012

[ ] Ronald Reagan Federal Building and United States Courthouse, 411 W. Fourth St., Santa Ana, CA 92701

[ ] Brown Federal Building and United States Courthouse 3470 Twelfth Street, Riverside, California, 92501

         on February 28, 2011, at -1:30 ______ p.m, and show cause why the testimony and production of books, papers, records and other data demanded in the subject Internal Revenue Service summonses should not be compelled.

         IT IS FURTHER ORDERED that copies of this Order, the Petition, Memorandum of Points and Authorities, and accompanying declarations be served no later than January 28, 2011 upon Respondent by any employee of the Internal Revenue Service or by the United States Attorney's Office, by personal delivery, or by leaving copies of each of the foregoing documents at the Respondent's dwelling or usual place of abode with someone of suitable age and discretion who resides there, or by certified mail.

         IT IS FURTHER ORDERED that on or before February 14, 2011, after service upon Respondent of the herein described documents, Respondent shall file and serve a written response, supported by appropriate sworn statements, as well as any desired motions. If, prior to the return date of this Order, Respondent files a response with the Court stating that Respondent does not desire to oppose the relief sought in the Petition, nor wish to make an appearance, then the appearance of Respondent at any hearing pursuant to this Order to Show Cause is excused, and Respondent shall be deemed to have complied with the requirements of this Order.

         IT IS FURTHER ORDERED that all motions and issues raised by the pleadings will be considered on the return date of this Order. Only those issues raised by motion or brought into controversy by the responsive pleadings and supported by sworn statements filed in accordance with this order will be considered by the Court. All allegations in the Petition not contested by such responsive pleadings or by sworn statements will be deemed admitted.

         IT IS SO ORDERED.


Summaries of

United States v. Ford

United States District Court, Ninth Circuit, California, C.D. California
Jan 11, 2011
CV 11-283 (C.D. Cal. Jan. 11, 2011)
Case details for

United States v. Ford

Case Details

Full title:UNITED STATES OF AMERICA, Petitioner, v. GARY E. FORD, Respondent.

Court:United States District Court, Ninth Circuit, California, C.D. California

Date published: Jan 11, 2011

Citations

CV 11-283 (C.D. Cal. Jan. 11, 2011)