In re Application for a Tax Deed

Appellate Court of Illinois
In re Application for a Tax Deed, 2016 IL App (5th) 150517 (2016)

In re Application for a Tax Deed

Opinion

Rule 23 order filed

2016 IL App (5th) 150517

October 13, 2016; Motion to publish granted NO. 5-15-0517 November 22, 2016. IN THE

APPELLATE COURT OF ILLINOIS

FIFTH DISTRICT ________________________________________________________________________

In re APPLICATION FOR A TAX DEED ) Appeal from the ) Circuit Court of (Opal Castleman, Petitioner; Jerry Jean, ) Washington County. Stewart Producers, Inc., Washington County Clerk, ) Evelyn M. Fair, Unknown Owners or Parties ) Interested, and Non-Record Claimants, Respondents; ) No. 14-TX-11 SI Resources, LLC, Section 2-1203 Petitioner- ) Appellant; William Groome, Intervenor-Appellee.) ) Honorable ) Daniel J. Emge, ) Judge, presiding. ________________________________________________________________________

JUSTICE MOORE delivered the judgment of the court, with opinion. Presiding Justice Schwarm and Justice Goldenhersh concurred in the judgment and opinion.

OPINION

¶1 SI Resources, LLC, appeals the November 16, 2015, order of the circuit court of

Washington County which granted the intervenor, William Groome's, motion to dismiss,

pursuant to section 2-619 of the Code of Civil Procedure (the Code) (735 ILCS 5/2-619

(West 2014)), SI Resources' petition to vacate, pursuant to section 2-1203 of the Code

(735 ILCS 5/2-1203 (West 2014)), the circuit court's previous order directing the

issuance of a tax deed to the petitioner, Opal Castleman. For the following reasons, we

dismiss this appeal for a lack of jurisdiction.

1 ¶2 FACTS

¶3 On September 19, 2014, Castleman filed a pro se petition for tax deed in the

circuit court of Washington County, naming the following respondents: Jerry Jean,

Stewart Producers, Inc., Washington County Clerk, Evelyn M. Fair, unknown owners or

interested parties, and non-record claimants. The petition alleged that Castleman had

purchased the delinquent real estate taxes with respect to all oil, gas, and other mineral

rights related to parcel number 07-72-23-000-052-00, located in Washington County.

According to the petition and the attachments thereto, the redemption period for these

mineral rights expired on February 25, 2015. The circuit court issued an order directing

the issuance of the tax deed on March 4, 2015.

¶4 On April 2, 2015, SI Resources filed a petition, pursuant to section 2-1203 of the

Code (735 ILCS 5/2-1203 (West 2014)), to vacate the March 4, 2015, order directing the

issuance of a tax deed. According to the petition and exhibits attached thereto, SI

Resources purchased the mineral rights to the subject real estate from Jean via quit claim

deed on March 27, 2015. The petition alleged that the order directing the issuance of a

tax deed must be vacated because Castleman failed to strictly comply with the mandatory

notice, service, and diligence requirements set forth in sections 22-5 through 22-40 of the

Property Tax Code. 35 ILCS 200/22-5 to 22-40 (West 2014).

¶5 On July 1, 2015, Groome filed a motion to intervene in the litigation, alleging that

he obtained a quit claim deed to the mineral rights in the subject property from

Castleman, and the circuit court granted the motion to intervene that same date. On

September 10, 2015, Groome filed a motion, pursuant to section 2-619 of the Code (735 2 ILCS 5/2-619 (West 2014)), to dismiss SI Resources' petition to vacate the order

directing the issuance of a tax deed. On November 16, 2015, the circuit court entered an

order granting the motion to dismiss. SI Resources filed a notice of appeal on November

24, 2015.

¶6 ANALYSIS

¶7 "As an appellate court, we have the duty to consider our jurisdiction to decide an

appeal and to dismiss the appeal if we find that jurisdiction is lacking." MidFirst Bank v.

McNeal,

2016 IL App (1st) 150465, ¶ 12

. In this case, SI Resources was not a party to

the proceedings resulting in the circuit court's order directing the issuance of the tax deed

on March 4, 2015, having no interest in the subject property during the pendency of those

proceedings. On April 2, 2015, without seeking leave to intervene using the procedures

set forth in section 2-408 of the Code (735 ILCS 5/2-408 (West 2014)), SI Resources

filed a postjudgment motion to vacate the order directing the issuance of the tax deed

pursuant to section 2-1203 of the Code. 735 ILCS 5/2-1203 (West 2014). 1 Section 2-

1203 provides that:

1 We note that although section 22-30 of the Property Tax Code (35 ILCS 200/22-

30 (West 2014)) provides that any person who has an ownership interest in the subject

property may appear in the proceeding, it is section 2-408 of the Code (735 ILCS 5/2-408

(West 2014)) which provides the procedural basis for doing so. See In re Petition for

Annexation of Unincorporated Territory to the Village of Palatine,

234 Ill. App. 3d 927, 929

(1992). Here, SI Resources never petitioned the circuit court to intervene.

3 "[i]n all cases tried without a jury, any party may, within 30 days after the entry of

the judgment *** file a motion for a rehearing, or a retrial, or modification of the

judgment or to vacate the judgment of for other relief." (Emphasis added.) 735

ILCS 5/2-1203(a) (West 2014).

¶8 Illinois Supreme Court Rule 303 (eff. Jan. 1, 2015) requires that a notice of appeal

must be filed within 30 days of a final order, unless a "timely posttrial motion directed

against the judgment is filed." Here, SI Resources filed a motion to vacate the judgment

within 30 days. However, by its express terms, section 2-1203 applies only to parties and

does not allow nonparties to move for postjudgment relief. MidFirst Bank,

2016 IL App (1st) 150465, ¶ 31

. Accordingly, SI Resources' section 2-1203 motion was a nullity and

was not a proper postjudgment motion which would extend the time period for filing a

notice of appeal to 30 days after the order disposing of it.

Id.

Although SI Resources

filed a notice of appeal within 30 days of the dismissal of its section 2-1203 motion to

vacate, its erroneous filing of the motion did not extend the 30-day time period for

appealing the March 4, 2015, order directing the issuance of the tax deed.

Id.

No proper

postjudgment motion having been filed, the order became final 30 days after it was

entered.

Id.

Accordingly, the November 24, 2015, notice of appeal was untimely and

does not vest this court with jurisdiction over this appeal.

Id.

Additionally, leave to intervene must be sought during the pendency of the suit, rather

than postjudgment.

Id.

at 931 (citing In re Estate of Reemts,

383 Ill. 447

(1943)).

4 ¶9 CONCLUSION

¶ 10 For the foregoing reasons, we dismiss this appeal for a lack of jurisdiction.

¶ 11 Appeal dismissed.

5

2016 IL App (5th) 150517

NO. 5-15-0517

IN THE

APPELLATE COURT OF ILLINOIS

FIFTH DISTRICT _____________________________________________________________________________________________

In re APPLICATION FOR A TAX DEED ) Appeal from the ) Circuit Court of (Opal Castleman, Petitioner; Jerry Jean, Stewart Producers, ) Washington County. Inc., Washington County Clerk, Evelyn M. Fair, Unknown ) Owners or Parties Interested, and Non-Record Claimants, ) No. 14-TX-11 Respondents; SI Resources, LLC, Section 2-1203 Petitioner- ) Appellant; William Groome, Intervenor-Appellee.) ) Honorable ) Daniel J. Emge, ) Judge, presiding. _____________________________________________________________________________________________

Rule 23 Order Filed: October 13, 2016 Motion to Publish Granted: November 22, 2016 Opinion Filed: November 22, 2016 _____________________________________________________________________________________________

Justices: Honorable James R. Moore, J.

Honorable S. Gene Schwarm, P.J., and Honorable Richard P. Goldenhersh, J., Concur _____________________________________________________________________________________________

Attorneys Mindy S. Salyer, Amanda L. Moressi, Brittney B. Rykovich, Salyer Law Offices, LLC, for 33 N. Dearborn Street, Suite 1505, Chicago, IL 60602 Appellant _____________________________________________________________________________________________

Attorney Paul T. Slocomb, Hoffman & Slocomb, LLC, 1115 Locust Street, 4th Floor, St. Louis, for MO 63101 Appellee _____________________________________________________________________________________________

Reference

Cited By
1 case
Status
Unpublished