CHEEK V. UNITED STATES
498 U.S. 192 (1991).
NATURE OF THE CASE: This was an appeal from a conviction for nonpayment of income taxes
which was affirmed by the Seventh Circuit.
FACTS: Cheek (D) has been a pilot for American Airlines since 1973. He filed federal
income tax returns through 1979, but thereafter ceased to file returns. D claimed an
increasing number of withholding allowances - eventually claiming 60 allowances by mid-1980.
For the years 1981-1984 he indicated on his W-4 forms that he was exempt from federal income
taxes. In 1983, D unsuccessfully sought a refund of all tax withheld by his employer in
1982. D's income during this period at all times far exceeded the minimum necessary to
trigger the statutory filing requirement. D was charged with six counts of willfully failing
to file a federal income tax return for the years 1980, 1981, and 1983 through 1986, in
violation of 26 U.S.C. 7203. He was further charged with three counts of willfully
attempting to evade his income taxes for the years 1980, 1981, and 1983 in violation of 26
U.S.C. 7201. The tax offenses with which petitioner was charged are specific intent crimes
that require D to have acted willfully. Between 1982 and 1986, D was involved in at least
four civil cases that challenged various aspects of the federal income tax system. In all
four of those cases, the plaintiffs were informed by the courts that many of their
arguments, including that they were not taxpayers within the meaning of the tax laws, that
wages are not income, that the Sixteenth Amendment does not authorize the imposition of an
income tax on individuals, and that the Sixteenth Amendment is unenforceable, were frivolous
or had been repeatedly rejected by the courts. D also attended at least two criminal trials
of persons charged with tax offenses. There was evidence that, in 1980 or 1981, an attorney
had advised D that the courts had rejected as frivolous the claim that wages are not income.
D represented himself at trial and testified in his defense. D's defense was that, based on
the indoctrination he received from a tax protest group and from his own study, he sincerely
believed that the tax laws were being unconstitutionally enforced and that his actions
during the 1980-1986 period were lawful. He therefore argued that he had acted without the
willfulness required for conviction of the various offenses with which he was charged. The
trial court instructed the jury that, to prove 'willfulness,' the Government must prove the
voluntary and intentional violation of a known legal duty, a burden that could not be proved
by showing mistake, ignorance, or negligence. The court further advised the jury that an
objectively reasonable good-faith misunderstanding of the law would negate willfulness, but
mere disagreement with the law would not. The court instructed the jury that, if it found
that D 'honestly and reasonably believed that he was not required to pay income taxes or to
file tax returns,' a not guilty verdict should be returned. During deliberation the court
further instructed the jury that: '[A] person's opinion that the tax laws violate his
constitutional rights does not constitute a good faith misunderstanding of the law.
Furthermore, a person's disagreement with the government's tax collection systems and
policies does not constitute a good faith misunderstanding of the law.' After further
deliberation the District Judge gave the jury an additional instruction. This instruction
stated in part that '[a]n honest but unreasonable belief is not a defense, and does not
negate willfulness,' and that '[a]dvice or research resulting in the conclusion that wages
of a privately employed person are not income or that the tax laws are unconstitutional is
not objectively reasonable, and cannot serve as the basis for a good faith misunderstanding
of the law defense.' The court also instructed the jury that '[p]ersistent refusal to
acknowledge the law does not constitute a good faith misunderstanding of the law.' The jury
returned a verdict finding petitioner guilty on all counts. D appealed his convictions,
arguing that the District Court erred by instructing the jury that only an objectively
reasonable misunderstanding of the law negates the statutory willfulness requirement. The
United States Court of Appeals for the Seventh Circuit rejected that contention, and
affirmed the convictions. The Supreme Court granted certiorari.
ISSUE:
RULE OF LAW:
HOLDING AND DECISION:
LEGAL ANALYSIS:
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