U.S. v. LAMB

No. 89-1533-SAC.

890 F.Supp. 968 (1995)

UNITED STATES of America, Plaintiff, v. Gladwin C. LAMB, Anna E. Lamb, Clarence T. Freed, Teddy Hand, North Star Cont., Brookside Cont. Tranquil Cont., Warren Johnson, and The State of Kansas, Defendants.

United States District Court, D. Kansas.

As Corrected June 8, 1995.


Attorney(s) appearing for the Case

Kathy M. Davis, Kansas Dept. of Revenue, Topeka, KS, Gigi M. Fowler, Roger W. Bracken, U.S. Dept. of Justice Office of Sp. Litigation-Tax Div., Washington, DC, Annette B. Gurney, Office of U.S. Atty., Wichita, KS, for U.S.

Gladwin C. Lamb, Wichita, KS, pro se.

Anna E. Lamb, Wichita, KS, pro se.

Ted E. Knopp, Ted E. Knopp, Chartered, Wichita, KS, for Gladwin C. Lamb and Anna E. Lamb.

James R. Howell, Larry Wall & Associates, Wichita, KS, for Teddy Hand.

Teddy Hand, Goddard, KS, pro se.

D. Philip Wilkes, Topeka, KS, for State of Kansas.


MEMORANDUM AND ORDER

CROW, District Judge.

The United States of America commenced this action to reduce to judgment certain outstanding federal tax assessments against Gladwin C. Lamb and Anna E. Lamb, to set aside fraudulent conveyances of certain properties and to foreclose federal tax liens on certain properties. An amended complaint was subsequently filed, but the Lambs failed to timely file an answer to either the original or amended complaint. On August...

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