Stovall v. Andrews
Stovall v. Andrews
Opinion of the Court
Opinion
Plaintiff, George Stovall, appeals from a judgment denying his petition for writ of mandate. In his petition, plaintiff alleged defendant Chris Andrews, the Shasta County Recorder (Recorder), violated a ministerial duty in accepting for filing notices of federal tax liens that had not been “certified” by the Secretary of the Treasury of the United States. In a proceeding in which defendant Recorder neither appeared nor participated, the trial court ruled there is nothing in California law, including this state’s version of the Uniform Federal Tax Lien Registration Act (Act) (Code Civ. Proc., § 2100 et seq.), which requires certification as a prerequisite to filing of a notice of federal tax lien.
On appeal, plaintiff reiterates his trial court contentions. Plaintiff does not challenge defendant’s filing of any particular federal tax lien. Plaintiff argues that defendant has a ministerial duty to accept for filing only those notices of federal tax liens that have been certified by the United States Secretary of the Treasury (Secretary) or the Secretary’s delegate, or which have some other certification, acknowledgment or attestation.
Defendant does not dispute that he has accepted for filing and has filed notices of federal tax liens that have not been certified by the Secretary. It is defendant’s position there is no legal requirement a notice of tax lien, federal or otherwise, be certified or acknowledged as a prerequisite to its being accepted for filing by a county recorder. We agree.
Section 2101, subdivision (a) states in relevant part: “Notices of liens, certificates, and other notices affecting federal tax liens or other federal liens must be filed in accordance with this title. ...”
Section 2103, subdivision (a)(2) provides that “If a notice of federal lien ... is presented to a filing officer who is: flO ... HD ... [a] county recorder, he or she shall accept for filing, file for record in the manner set forth in Section 27320 of the Government Code, and index the document . . . .” (Italics added.)
Plaintiff’s challenge to the defendant’s practices is based on section 2102 which provides: “Certification of notices of liens, certificates, or other notices affecting federal liens by the Secretary of the Treasury of the United States or his or her delegate, or by any official or entity of the United States responsible for filing or certifying of notice of any other lien, entitles them to be filed and no other attestation, certification, or acknowledgment is necessary.”
As plaintiff construes section 2102, where the notice of federal tax lien has not been certified by the Secretary, it may not be accepted for filing unless it is accompanied by some other attestation, certification, or acknowledgment. We disagree with plaintiff’s interpretation of section 2102.
Section 2102 simply provides that where the notice of federal lien has been certified by the Secretary, the notice is entitled to be filed with the county recorder in the county in which the taxpayer resides (see §§2101, subd. (c)(2), 2103, subd. (a)(2)) regardless of any attestation, certification or acknowledgment requirement that may otherwise be imposed by a particular state as a prerequisite to the filing of a notice of lien. Viewed in this light, section 2102 does not require certification by the Secretary prior to filing. It also does not require that some other attestation, certification or acknowledgment is a prerequisite to the filing of the notice of federal tax lien.
Section 2102 is part of the Act as enacted in California. Whatever the requirement may be in other states which have enacted this particular Act,
The judgment is affirmed. Defendant shall recover costs on appeal.
Sims, J., and Raye, J., concurred.
Government Code section 27320 provides in relevant part that “[w]hen any instrument authorized by law to be recorded is deposited in the recorder’s office for record . . . [t]he recorder shall record it-without delay . . . .”
Case-law data current through December 31, 2025. Source: CourtListener bulk data.