Case 3:16-cv MAS-LHG Document 1 Filed 01/29/16 Page 1 of 5 PageID: 1

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Case 3:16-cv-00518-MAS-LHG Document 1 Filed 01/29/16 Page 1 of 5 PageID: 1 PAUL J. FISHMAN United States Attorney CAROLINE D. CIRAOLO Acting Assistant Attorney General STEPHEN S. HO Trial Attorney, Tax Division U.S. Department of Justice P.O. Box 227 Washington, D.C. 20044 Telephone: 202-616-8994 Counsel for the United States of America IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF NEW JERSEY UNITED STATES OF AMERICA, Plaintiff, v. PERRY J. DIPIAZZA, and KATHRYN DIPIAZZA, Defendants. Case No. COMPLAINT TO REDUCE ASSESSMENT TO JUDGMENT Plaintiff, the United States of America, at the request of the Chief Counsel of the Internal Revenue Service, a delegate of the Secretary of the Treasury, and at the direction of the Attorney General of the United States, brings this action to reduce to judgment: (a the assessments made against Perry J. DiPiazza individually for unpaid federal income taxes for 2002, 2003, and 2009 through 2014; and (b the assessment made against Perry J. and Kathryn DiPiazza jointly for unpaid federal income taxes for 2008. 1

Case 3:16-cv-00518-MAS-LHG Document 1 Filed 01/29/16 Page 2 of 5 PageID: 2 JURISDICTION AND VENUE 1. Jurisdiction over this action is conferred upon this Court pursuant to 26 U.S.C. 7402 and 28 U.S.C. 1340 and 1345. 2. Venue is proper in this Court pursuant to 28 U.S.C. 1391 and 1396 because Defendants reside within this judicial district. PARTIES 3. Plaintiff is the United States of America. 4. Defendant Perry J. DiPiazza is a taxpayer who resides at 559 Marshall Road, Toms River, New Jersey, 08753, within the jurisdiction of this Court. 5. Defendant Kathryn DiPiazza is a taxpayer who also resides at 559 Marshall Road, Toms River, New Jersey, 08753, within the jurisdiction of this Court. COUNT I: REDUCE ASSESSMENTS AGAINST PERRY J. DIPIAZZA INDIVIDUALLY TO JUDGMENT 6. Based on federal income tax returns filed separately by Perry DiPiazza, a delegate of the Secretary of the Treasury made assessments against Perry DiPiazza for his unpaid federal income tax liabilities as follows: Tax Year Assessment Date Assessment Outstanding Balance (through 01/18/16 2002 08/08/2003 $82,179.36 $140,158.03 2003 04/12/2004 $40,833.00 $81,748.58 2009 02/06/2012 $163,731.23 $121,201.53 2010 02/06/2012 $133,663.84 $128,256.82 2011 09/23/2013 $126,009.65 $149,664.59 2012 09/16/2013 $80,882.01 $99,353.06 2013 07/07/2014 $144,713.69 $161,711.49 2014 06/08/2015 $132,085.10 $5,443.92 Total $887,538.02 2

Case 3:16-cv-00518-MAS-LHG Document 1 Filed 01/29/16 Page 3 of 5 PageID: 3 7. Perry DiPiazza was given notice and demand for payment of the aforementioned assessments made against him. 8. Despite such notice and demand, Perry DiPiazza has failed to pay the assessed tax liabilities described in paragraph 6. 9. After the application of all abatements, payments, and credits, and the addition of penalties and interest, Perry DiPiazza remains indebted to the United States of America for the liabilities described in paragraph 6 in the amount of $887,538.02 as of January 18, 2016, plus statutory additions and interest accruing after that date until paid. COUNT II: REDUCE ASSESSMENT AGAINST PERRY J. AND KATHRYN DIPIAZZA JOINTLY TO JUDGMENT 10. Based on a federal income tax return filed jointly by Perry and Kathryn DiPiazza, a delegate of the Secretary of the Treasury made an assessment against them for their unpaid federal income tax liability as follows: Tax Year Assessment Date Assessment Outstanding Balance (through 01/18/16 2008 08/23/2010 $208,395.85 $177,759.92 11. Perry and Kathryn DiPiazza were given notice and demand for payment of the aforementioned assessment made against them. 12. Despite such notice and demand, Perry and Kathryn DiPiazza have failed to pay the assessed tax liability described in paragraph 10. 13. After the application of all abatements, payments, and credits, and the addition of penalties and interest, Perry and Kathryn DiPiazza remain indebted to the United States of America for the liability described in paragraph 10 in the amount of $177,759.92 as of January 18, 2016, plus statutory additions and interest accruing after that date until paid. WHEREFORE, the United States prays that this Court: 3

Case 3:16-cv-00518-MAS-LHG Document 1 Filed 01/29/16 Page 4 of 5 PageID: 4 A. Render a judgment in favor of the United States and against Defendant Perry J. DiPiazza individually for his 2002 and 2003, and 2009 through 2014 federal income tax liabilities as set forth in paragraph 6 above, in the amount of $887,538.02 as of January 18, 2016, plus statutory additions, including interest, accruing after that date; B. Render a judgment in favor of the United States and against Defendants Perry J. and Kathryn DiPiazza jointly for their 2008 federal income tax liability as set forth in paragraph 10 above, in the amount of $177,759.92 as of January 18, 2016, plus statutory additions, including interest, accruing after that date; C. Award to the United States its costs of prosecuting this action; and D. Grant such other and further relief as the Court deems just and equitable. 4

Case 3:16-cv-00518-MAS-LHG Document 1 Filed 01/29/16 Page 5 of 5 PageID: 5 DESIGNATION UNDER LOCAL CIVIL RULE 101.1(f In accordance with Local Civil Rule 101.1(f, the undersigned hereby designates the United States Attorney for the District of New Jersey to receive service of all notices or papers in this action at the following address: Chief, Civil Division United States Attorney s Office District of New Jersey 970 Broad Street, Suite 700 Newark, NJ 07102 Date: January 29, 2016 PAUL J. FISHMAN United States Attorney CAROLINE D. CIRAOLO Acting Assistant Attorney General /s/ Stephen S. Ho STEPHEN S. HO (NY 5173083 Trial Attorney, Tax Division U.S. Department of Justice Post Office Box 227 Washington, D.C. 20044 Tel.: (202 616-8994 Fax: (202 514-6866 Stephen.S.Ho@usdoj.gov 5