GARRETT v. UNITED STATES

No. 74-2281.

511 F.2d 1037 (1975)

John W. and Edith GARRETT, Movant-Intervenors-Appellants, v. UNITED STATES of America and R. H. Kloosterman, Special Agent, Internal Revenue Service, Petitioners-Appellees, United California Bank and Steve Abrahamson, Operations Manager, Respondents-Appellees.

United States Court of Appeals, Ninth Circuit.

February 21, 1975.


Attorney(s) appearing for the Case

Jack R. White, of Hill, Farrer & Burrill (argued), Los Angeles, Cal., for appellants.

Alfred S. Lombardius (argued), of Tax Div., Dept. of Justice, Washington, D. C., for appellees.

Before KOELSCH and KILKENNY, Circuit Judges, and SOLOMON, District Judge.


OPINION

PER CURIAM:

Taxpayers appeal from interrelated orders of the district court which deny them permission to intervene in an action by the Internal Revenue Service seeking to enforce a summons to taxpayers' bank requiring production of bank records relevant to a determination of taxpayers' tax liability.

The district court's denial of intervention was proper—this case is virtually on all fours with Donaldson v. United States, ...

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