IN RE JOHN WILLIAM BARTLE

Filing 163

FINAL JUDGMENT on Validity and Amount of Three Remaining Tax Liabilities in favor of United States of America against John W. Bartle (S.O.). Signed by Judge Sarah Evans Barker on 6/7/07. (MAC) Modified on 6/21/2007 (MAC).

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IN RE JOHN WILLIAM BARTLE Doc. 163 Case 1:05-cv-00564-SEB-JMS Document 163 Filed 06/08/2007 Page 1 of 3 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF INDIANA INDIANAPOLIS DIVISION IN RE: JOHN WILLIAM BARTLE, Debtor. ) ) ) ) ) No. 1:05-CV-564-SEB-VSS (formerly Bankr. No. 04-23292) FINAL JUDGMENT ON VALIDITY AND AMOUNT OF THREE REMAINING TAX LIABILITIES The debtor, John W. Bartle, having filed a motion for determination of the validity and amount of certain of his tax liabilities asserted by the United States, pursuant to 11 U.S.C. § 505(a), and the debtor and the United States of America having recently agreed in writing to the validity and amount of the three federal tax liabilities asserted by the United States that were previously unresolved, and the United States, with the agreement of the debtor, having requested the entry of final judgment with respect to those three remaining agreed liabilities, final judgment is entered in favor of the United States of America and against John W. Bartle, as to the validity and amount of certain federal tax liabilities of Mr. Bartle under 11 U.S.C. § 505, as follows: (a) The debtor, John W. Bartle, is liable for a trust fund recovery penalty pursuant to 26 U.S.C. § 6672 which was assessed on January 31, 2007, based on wages that were paid by Heritage Medical Services, Inc., with respect to employment during 2004, in the amount of $3,587,962.52, plus statutory interest from the date of assessment; BB2\Final.Judgment Dockets.Justia.com Case 1:05-cv-00564-SEB-JMS Document 163 Filed 06/08/2007 Page 2 of 3 (b) The debtor, John W. Bartle, is liable for a deficiency in income tax for the year 2000, in the amount of $177,018.20, plus an accuracy-related penalty under 26 U.S.C. § 6662(b)(2) in the amount of $35,403.64, and a failure to file penalty under 26 U.S.C. § 6651(a)(1) in the amount of $7,933.81, and for statutory interest, none of which have yet been assessed; and (c) The debtor, John W. Bartle, is liable for a deficiency in income tax for the year 2001, in the amount of $199,489.00, plus an accuracy-related penalty under 26 U.S.C. § 6662(b)(2) in the amount of $39,897.80, and a failure to file penalty under 26 U.S.C. § 6651(a)(1) in the amount of $27,933.00, and for statutory interest, none of which have yet been assessed. 06/07/2007 Date: _______________________ Done at Indianapolis, Indiana, this ______ day of June, 2007. HON. SARAH E. BARKER _______________________________ Judge, U.S. District Court SARAH EVANS BARKER, JUDGE SoutherStates District Court Indiana United n District of Southern District of Indiana 2 BB2\Final.Judgment Case 1:05-cv-00564-SEB-JMS Document 163 Filed 06/08/2007 Page 3 of 3 Distribution: ROBERT L. NICHOLSON Beckman Lawson LLP 200 E. Main Street Suite 800 Fort Wayne, Indiana 46801 WENDY D. BREWER Barnes & Thornburg 11 South Meridian Street Indianapolis, Indiana 46204 GERALD J. McCONOMY Knapp McConomy Merlie LLP 1216 Route 113 P.O. Box 487 Chester Springs, PA 19425 JEFFREY L. HUNTER Assistant U.S. Attorney 10 West Market Street 21st Floor Indianapolis, Indiana 46204 JOSEPH F. McGONIGAL Office of U.S. Trustee 101 West Ohio Street Suite 101 Indianapolis, Indiana 46204 JAMES E. CARLBERG Bose McKinney & Evans LLP 2700 First Indiana Plaza 135 North Pennsylvania Street Indianapolis, Indiana 46204 DOUGLAS W. SNOEYENBOS P.O. Box 55, Ben Franklin Station Washington, D.C. 20044 3 BB2\Final.Judgment

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