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Case TitleCrow v. Internal Revenue Service
DistrictDistrict of Idaho
CityNextGen 1.6 Boise - Southern
Case Number1:2020cv00518
Date Filed2020-11-12
Date Closed2022-05-20
JudgeJudge David C. Nye
PlaintiffStanley D. Crow
Case DescriptionStanley Crow submitted a FOIA request to the IRS for records concerning the case activity record since February 22, 2019 pertaining to the agency's examination of him. The agency acknowledged receipt of the request. The agency disclosed 23 pages. While the response letter explained the exemptions, none of the redactions were linked to exemptions. Crow filed an administrative appeal. The agency denied the appeal. Crow then filed suit.
Complaint issues: Litigation - Vaughn index, Litigation - Attorney's fees

DefendantInternal Revenue Service
Documents
Docket
Complaint
Complaint attachment 1
Complaint attachment 2
Complaint attachment 3
Complaint attachment 4
Complaint attachment 5
Complaint attachment 6
Complaint attachment 7
Complaint attachment 8
Opinion/Order [28]
FOIA Project Annotation: A federal court in Idaho has ruled that the IRS properly withheld records from Stanley Crow concerning his tax audit under Exemption 3 (other statutes), relying on § 6103, which requires the agency to withhold third party tax information. Crow's FOIA litigation stemmed from his seven-year-long examination of Crow and his company, S. Crow Collateral Corporation's business activities to determine whether he had been promoting abusive tax shelters and should be subject to penalties. As part of the investigation, the IRS sought information from third parties about Crow's participation in various financial transactions. Crow submitted a FOIA request on June 22, 2020, seeking access to "a complete copy of the Case Activity Record since February 22, 2019, with respect to the examination of Stanley D. Crow under 26 U.S.C. §§ 6700, 6707, and 6708." The IRS sent Crow a heavily redacted version of the Case Activity Report on August 19, 2020. The report was 22 pages long. One page was completely redacted, and the other twenty-one pages were partially redacted, citing a variety of exemptions, including § 6103. Crow filed an administrative appeal, which was denied. Crow then filed suit. By the time the court ruled, Crow's only remaining challenge concerned the use of § 6103. The IRS indicated that all the Exemption 3 claims "identify third-party taxpayers and their liabilities or their possible liabilities under the Internal Revenue Code." Judge David Nye began by noting that "the linchpin of this lawsuit is whether this is a case pertaining to tax administration. As will be outlined, this lawsuit does not pertain to tax administration, and consequently Crow's allegations crumble. The IRS properly redacted the information under Exemption 3." He observed that Exemption 3's applicability depends less on the detailed factual contents of specific documents and explained that the sole issue for decision under Exemption 3 is the existence of a relevant statute and the inclusion of withheld material within the statute's coverage. Nye pointed out that "notably, any material that falls within the criteria of a qualifying statute under Exemption 3 is automatically withheld 'regardless of how unwise or self-protective the statute might be.'" Crow argued that the redacted material could be disclosed because it fell within the exception of § 6103(h)(4) requiring disclosure occur in a 'judicial or administrative proceeding pertaining to tax administration.'" Nye, then noted that "while Crow's allegations in this case are cast against the backdrop of an IRS audit, this is, in reality, simply a FOIA case. The cause of action is the FOIA statue. The resolution of Crow's possible tax penalties will not occur in this case. As such, this is not a tax administration proceeding that is administering, managing, conducting, directing, or supervising the internal revenue laws relating to Crow's tax affairs, and the exemptions in § 6103(h)(4) have no bearing here." Nye added that "Crow's entire Motion for Summary Judgment revolves around FOIA analysis, not the tax code. This highlights the fact that it is, unavoidably, a FOIA case, not a tax case." Nye then agreed with the IRS that the redacted records qualified as third-party tax return information under § 6103. He indicated that "the disclosure of such third parties could lead to reluctance by third parties to speak to the IRS in the future, as those third parties would not be able to speak confidentially and could face retribution. Additionally, Crow would gain further insight into the ongoing investigation if given full unfettered access to these returns."
Issues: Exemption 3 - Limited agency discretion
User-contributed Documents
 
Docket Events (Hide)
Date FiledDoc #Docket Text

2020-11-121COMPLAINT against Internal Revenue Service ( Filing fee $ 400 receipt number 0976-2127550.), filed by Stanley D. Crow. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5, # 6 Exhibit 6, # 7 Cover Sheet, # 8 Summons)(Krug, Haley)
2020-11-162Summons Issued as to Internal Revenue Service (Print attached Summons for service.) (jp)
2020-11-163CERTIFICATE OF SERVICE by Stanley D. Crow re 2 Summons Issued as to USA, 1 Complaint, (Krug, Haley)
2020-11-254AFFIDAVIT of Service for Issued Summons and Complaint served on Internal Revenue Service on 11/17/2020, filed by Stanley D. Crow. (Krug, Haley)
2020-12-145CERTIFICATE OF SERVICE by Stanley D. Crow re 2 Summons Issued as to USA, 1 Complaint, (Krug, Haley)
2021-01-156STIPULATION re 1 Complaint, Stipulation to Extend Deadline to Answer or Otherwise Respond by Stanley D. Crow. (Krug, Haley)
2021-01-297ANSWER to 1 Complaint, by Internal Revenue Service.(Morton, Benton)
2021-02-018NOTICE of Availability of Magistrate Judge and Requirement for Consent sent to counsel for Stanley D. Crow, Internal Revenue Service re 7 Answer to Complaint, 1 Complaint, Consent/Objection to Magistrate due by 4/2/2021. (jp)
2021-02-049MOTION FOR PRO HAC VICE APPEARANCE by Stephen D. Gardner. ( Filing fee $ 250 receipt number 0976-2163356.)Wade L. Woodard appearing for Plaintiff Stanley D. Crow. Responses due by 2/25/2021 (Woodard, Wade)
2021-02-0410MOTION FOR PRO HAC VICE APPEARANCE by Clint E. Massengill. ( Filing fee $ 250 receipt number 0976-2163362.)Wade L. Woodard appearing for Plaintiff Stanley D. Crow. Responses due by 2/25/2021 (Woodard, Wade)
2021-02-0411MOTION FOR PRO HAC VICE APPEARANCE by Kathleen M. Pakenham. ( Filing fee $ 250 receipt number 0976-2163364.)Wade L. Woodard appearing for Plaintiff Stanley D. Crow. Responses due by 2/25/2021 (Woodard, Wade)
2021-02-0512DOCKET ENTRY ORDER Approving 9 , 10 , & 11 Applications for Pro Hac Vice Appearance of attorneys Kathleen M Pakenham, Stephen D Gardner, & Clint E Massengill for Stanley D. Crow. Per Local Rule 83.4(e), out-of-state counsel shall immediately register for ECF. (Notice sent to CM/ECF Registration Clerk) (caused to be mailed to non Registered Participants at the addresses listed on the Notice of Electronic Filing (NEF) by (jp)
2021-02-1013NOTICE of Appearance by Ryan O'Connor McMonagle on behalf of Internal Revenue Service (McMonagle, Ryan)
2021-04-05The 60 day deadline has expired. Case will remain with District Judge. No more notice of availability or assignment will be sent out. Consent deadline(s) termed. (jp)
2021-09-0114MOTION for Summary Judgment Haley Krug appearing for Plaintiff Stanley D. Crow. Responses due by 9/22/2021 (Attachments: # 1 Memorandum in Support, # 2 Statement of Undisputed Facts)(Krug, Haley)
2021-09-1715STIPULATION re 14 MOTION for Summary Judgment to Withdraw Plaintiff's Motion for Summary Judgment and Enter Agreed Briefing Schedule by Internal Revenue Service. (McMonagle, Ryan)
2021-09-2016ORDER RE: STIPULATION TO WITHDRAW PLAINTIFFS MOTION FOR SUMMARY JUDGMENT AND ENTER AGREED BRIEFING SCHEDULE. Signed by Judge David C. Nye. (alw)
2021-11-0117MOTION for Summary Judgment Haley Krug appearing for Plaintiff Stanley D. Crow. Responses due by 11/22/2021 (Attachments: # 1 Memorandum in Support, # 2 Statement of Undisputed Facts, # 3 Affidavit Massengill)(Krug, Haley)
2021-11-0118MOTION for Summary Judgment Ryan O'Connor McMonagle appearing for Defendant Internal Revenue Service. Responses due by 11/22/2021 (Attachments: # 1 Memorandum in Support, # 2 Statement of Undisputed Facts, # 3 Affidavit Declaration of Steven Mark Edwards, # 4 Affidavit Declaration of Melissa Avrutine, # 5 Exhibit A (Delegation Order), # 6 Exhibit B (Delegation Chart), # 7 Exhibit C (Excerpts from Internal Revenue Manual))(McMonagle, Ryan)
2021-11-2919MEMORANDUM in Opposition re 17 MOTION for Summary Judgment filed by Internal Revenue Service. Replies due by 12/13/2021. (Attachments: # 1 Separate Statement of Disputed Facts, # 2 Affidavit Declaration of Ryan O. McMonagle)(McMonagle, Ryan)
2021-11-2920RESPONSE to Motion re 18 MOTION for Summary Judgment filed by Stanley D. Crow. Replies due by 12/13/2021. (Attachments: # 1 Plaintiff's Response to IRS's Separate Statement of Material Facts in Support of its Motion for Summary Judgment)(Krug, Haley)
2021-12-1321REPLY to Response to Motion re 18 MOTION for Summary Judgment filed by Internal Revenue Service.Motion Ripe Deadline set for 12/14/2021.(Morton, Benton)
2021-12-1322REPLY to Response to Motion re 17 MOTION for Summary Judgment filed by Stanley D. Crow.Motion Ripe Deadline set for 12/14/2021.(Krug, Haley)
2022-01-2423DOCKET ENTRY NOTICE of Hearing on Motion 18 MOTION for Summary Judgment , 17 MOTION for Summary Judgment : Motion Hearing set for 3/29/2022 at 11:00 AM (MST) via zoom before Judge David C. Nye. Members of the public may use the following to attend via Audio ONLY: 1-669-254-5252, Meeting ID: 161 257 6053, Meeting Password: 633827. Persons granted remote access to proceedings are reminded of the general prohibition under federal law and Local Rule 83.1 against Photographing, recording, and rebroadcasting of court proceedings(pr)
2022-02-0424NOTICE of Change of Address by Haley Krug (Krug, Haley)
2022-03-2525NOTICE by Internal Revenue Service re 18 MOTION for Summary Judgment of Supplemental Authority (Attachments: # 1 Exhibit A (Southern Poverty Law Center v. Internal Revenue Service))(McMonagle, Ryan)
2022-03-2926Minute Entry for proceedings held before Judge David C. Nye: Motion Hearing held on 3/29/2022 re 17 MOTION for Summary Judgment filed by Stanley D. Crow, 18 MOTION for Summary Judgment filed by Internal Revenue Service: Court heard oral argument, matter taken under advisement with a written decision to be forthcoming. (Court Reporter/ESR Anne Bowline.) (pr) (Entered: 03/31/2022)
2022-04-0427NOTICE by Stanley D. Crow of Withdrawal of Stephen D. Gardner (Krug, Haley)
2022-05-2028MEMORANDUM DECISION AND ORDER - The Internal Revenue Services Motion for Summary Judgment (Dkt. 18 ) is GRANTED. Crows Motion for Summary Judgment (Dkt. 17 ) is DENIED. A Judgment in favor of Defendant shall be attached herewith. Signed by Judge David C. Nye. (caused to be mailed to non Registered Participants at the addresses listed on the Notice of Electronic Filing (NEF) by (jd)
2022-05-2029JUDGMENT - In accordance with the Courts Memorandum Decision and Order entered concurrently herewith, NOW THEREFORE, IT IS HEREBY ORDERED, ADJUDGED, AND DECREED that judgment be entered in favor of Defendant, and this case closed. Signed by Judge David C. Nye. (caused to be mailed to non Registered Participants at the addresses listed on the Notice of Electronic Filing (NEF) by (jd)
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