Engen v. United States

 
DOCKET NO.
OP. BELOW
SUBJECT
Pro Se

Question(s) Presented

1. “Whether a summary judgment entered in a 26 U.S.C. § 7403 lien-foreclosure proceeding—whose purpose is limited to enforcing a tax lien and where taxpayers cannot bring refund claims, seek monetary relief, or adjudicate tax liability—constitutes a ‘final judgment on the merits’ for purposes of claim preclusion, thereby barring a later refund suit under the Tucker Act, 28 U.S.C. § 1491.”

2. “Whether applying claim preclusion to bar a taxpayer’s refund suit violates the Due Process Clause where the taxpayer had no full and fair opportunity to litigate the validity of assessments in the § 7403 proceeding, and whether the Federal Circuit’s rule conflicts with this Court’s precedent in Williams, Flora, Richards, and Taylor.”

3. “Whether 26 U.S.C. § 7403 violates the Fifth Amendment’s guarantee of due process by authorizing the forced sale of a taxpayer’s home based solely on an irrebuttable presumption that IRS tax liens are valid, while denying the taxpayer any opportunity in the foreclosure proceeding to challenge the legality of the underlying assessment or lien—a deficiency the Treasury Inspector General has recognized deprives taxpayers of the protections available in the seizure process.”

Posts About this Case

Date
Proceedings and Orders
March 12, 2026
DISTRIBUTED for Conference of 3/27/2026.
March 30, 2026
Petition DENIED.