Gilbert v. United States, No. 18-17004 (9th Cir. 2021)
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The Ninth Circuit affirmed the district court's dismissal based on lack of jurisdiction of a declaratory judgment action concerning a dispute arising from the withholdings required under the Foreign Investment in Real Property Tax Act (FIRPTA) and the Fixed, Determinable, Annual, or Periodical income (FDAP) rules. Plaintiffs seek a declaratory judgment that, among other things, withholding money from their agreed purchase price to pay the federal taxes required under FIRPTA and the FDAP rules is not a breach of their real estate contract with Namaca.
Under the Declaratory Judgment Act, a federal court may issue a declaration resolving the parties' competing legal rights in a case of actual controversy within its jurisdiction, except with respect to federal taxes. In this case, plaintiffs argue that because the FIRPTA and FDAP withholdings are made before the IRS assesses tax liability, the taxation exception does not apply because a declaration concerning their withholding obligations will not restrain the ultimate assessment of taxes. However, the panel held that the Declaratory Judgment Act's bar is not conditioned on a determination of ultimate tax liability. Furthermore, it is coextensive with the Anti-Injunction Act despite the broader language of the former. Therefore, the panel upheld the district court's dismissal of plaintiffs' request for a declaratory judgment that withholding money from their agreed purchase price to pay the taxes allegedly owed under FIRPTA and the FDAP rules is not a breach of their real estate contract.
Court Description: Tax. The panel affirmed the district court’s dismissal, for lack of jurisdiction, of appellants’ action for a declaratory judgment on the effect of the Foreign Investment in Real Property Tax Act and Fixed, Determinable, Annual, or Periodical income rules on a contract to purchase real property from a foreign entity. The FIRPTA and FDAP require a buyer in taxable transactions with a foreign entity to deduct, withhold, and pay a prescribed amount to the Internal Revenue Service, to ensure that funds to pay the required taxes are collected up front. The Declaratory Judgment Act allows a federal court with jurisdiction to issue a declaration resolving the parties’ competing legal rights, except with respect to federal taxes. Appellants sought a declaratory judgment that withholding money, to pay federal taxes, from their agreed purchase price of real property from a foreign entity is not a breach of the real estate contract. The panel affirmed the district court’s determination that the Declaratory Judgment Act prohibits courts from entering declaratory judgments related to federal taxation obligations. The panel addressed appellants’ remaining claims in a contemporaneously filed memorandum disposition. GILBERT V. UNITED STATES 3
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