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United States v. Krute

United States District Court, Ninth Circuit, California, E.D. California
Dec 16, 2013
CIV S-10-3241-KJM-CMK (E.D. Cal. Dec. 16, 2013)

Opinion


UNITED STATES OF AMERICA, Plaintiff, v. STANLEY R. KRUTE, et al., Defendants. No. CIV S-10-3241-KJM-CMK United States District Court, E.D. California. December 16, 2013

          ORDER

          CRAIG M. KELLISON, Magistrate Judge.

         Plaintiff brings this civil action to reduce outstanding federal tax liens to a judgment and for foreclosure of federal tax liens. Pending before the court is plaintiff's motion to confirm judicial sale and distribute proceeds (Doc. 45). The matter was heard on October 30, 2013, before the undersigned in Redding, California. Anna Nelson, Esq., appeared for plaintiff. Defendant did not oppose the motion or appear at the hearing.

         Good cause appearing therefor, the motion is granted.

         The sale of the Parcel A specifically described as 18617 Camp Creek Road, Hornbrook, California, and legally described as:

Lot 33, according to the Parcel Map Survey for Mr. Jack Nathan and Mr. Joe Gorrono of a portion of Township 48 North, Range 5 West, M.D.M., filed July 21, 1970, in Parcel Map Book 1, pages 37 through 29 inclusive, Siskiyou County Recorder's Office. APN: XXX-XXX-XXX.

         is hereby confirmed.

         Plaintiff shall promptly deliver a deed of sale to the purchaser.

         The Clerk of the Court shall disburse all proceeds of the sale from the court's registry in the following manner:

First, to the IRS in the amount of $1, 067, which sum is to be applied to costs incurred in selling the property. The check shall be payable to the Internal Revenue Service and sent to:

Second, to Siskiyou County in the amount of $1, 100.85 (if paid on or before October 31, 2013) or $1, 123.46 (if paid on or before November 30, 2013) or $1, 136.00 (if paid on or before December 31, 2013), which sum is to be applied to the unpaid property taxes. The check shall be payable to Siskiyou County Tax Collector Assessment Number XXX-XXX-XXX-XXX, and sent to:

Third, the remainder of the proceeds to the State of California Franchise Tax Board, which payment is to be applied first towards the outstanding assessment dated May 22, 2000, for tax year 1998 and second towards the outstanding assessment dated December 8, 2001, for tax year 1999. The check shall be payable to the Franchise Tax Board, with Taxpayer ID number XXX-XXXXX-XX, and sent to:

         IT IS SO ORDERED.


Summaries of

United States v. Krute

United States District Court, Ninth Circuit, California, E.D. California
Dec 16, 2013
CIV S-10-3241-KJM-CMK (E.D. Cal. Dec. 16, 2013)
Case details for

United States v. Krute

Case Details

Full title:UNITED STATES OF AMERICA, Plaintiff, v. STANLEY R. KRUTE, et al.…

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

Date published: Dec 16, 2013

Citations

CIV S-10-3241-KJM-CMK (E.D. Cal. Dec. 16, 2013)