ANR Pipeline Co. v. Louisiana Tax Com'n

997 So. 2d 92, 2008 WL 4603393
CourtLouisiana Court of Appeal
DecidedOctober 17, 2008
Docket2008 CA 1148, 2008 CA 1149, 2008 CA 1150, 2008 CA 1151, 2008 CA 1152, 2008 CA 1153, 2008 CA 1154, 2008 CA 1155, 2008 CA 1156, 2008 CA 1157, 2008 CA 1158, 2008 CA 1159, 2008 CA 1160, 2008 CA 1161, 2008 CA 1162
StatusPublished
Cited by12 cases

This text of 997 So. 2d 92 (ANR Pipeline Co. v. Louisiana Tax Com'n) is published on Counsel Stack Legal Research, covering Louisiana Court of Appeal primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
ANR Pipeline Co. v. Louisiana Tax Com'n, 997 So. 2d 92, 2008 WL 4603393 (La. Ct. App. 2008).

Opinion

997 So.2d 92 (2008)

ANR PIPELINE COMPANY
v.
LOUISIANA TAX COMMISSION, Malcolm B. Price, Jr., Chairman of the Louisiana Tax Commission, Kenneth P. Naquin, Jr., Member of the Louisiana Tax Commission, and Russel R. Gaspard, Member of the Louisiana Tax Commission.
ANR Pipeline Company
v.
Louisiana Tax Commission, Malcolm B. Price, Jr., Chairman of the Louisiana Tax Commission, Kenneth P. Naquin, Jr., Member of the Louisiana Tax Commission, and Russel R. Gaspard, Member of the Louisiana Tax Commission.
Tennessee Gas Pipeline Company
v.
Louisiana Tax Commission, Malcolm B. Price, Jr., Chairman of the Louisiana Tax Commission, Kenneth P. Naquin, Jr., Member of the Louisiana Tax Commission, and Russel R. Gaspard, Member of the Louisiana Tax Commission.
Southern Natural Gas Company
v.
Louisiana Tax Commission, Malcolm B. Price, Jr., Chairman of the Louisiana Tax Commission, Kenneth P. Naquin, Jr., Member of the Louisiana Tax Commission, and Russel R. Gaspard, Member of the Louisiana Tax Commission.
ANR Pipeline Company
v.
Louisiana Tax Commission, Malcolm B. Price, Jr., Chairman of the Louisiana Tax Commission, Kenneth P. Naquin, Jr., Member of the Louisiana Tax Commission, and Russel R. Gaspard, Member of the Louisiana Tax Commission.
Tennessee Gas Pipeline Company
v.
Louisiana Tax Commission, Malcolm B. Price, Jr., Chairman of the Louisiana Tax Commission, Kenneth P. Naquin, Jr., Member of the Louisiana Tax Commission, and Russel R. Gaspard, Member of the Louisiana Tax Commission.
Southern Natural Gas Company
v.
Louisiana Tax Commission, Malcolm B. Price, Jr., Chairman of the Louisiana Tax Commission, Kenneth P. Naquin, Jr., Member of the Louisiana Tax Commission, and Russel R. Gaspard, Member of the Louisiana Tax Commission.
Southern Natural Gas Company
v.
Louisiana Tax Commission, Malcolm B. Price, Jr., Chairman of the Louisiana Tax Commission, Kenneth P. Naquin, Jr., Member of the Louisiana Tax Commission, and Russel R. Gaspard, Member of the Louisiana Tax Commission.
ANR Pipeline Company
v.
Louisiana Tax Commission, Malcolm B. Price, Jr., Chairman of the Louisiana Tax Commission, Kenneth P. Naquin, Jr., Member of the Louisiana Tax Commission, and Russel R. Gaspard, Member of the Louisiana Tax Commission. *93
Tennessee Gas Pipeline Company
v.
Louisiana Tax Commission, Malcolm B. Price, Jr., Chairman of the Louisiana Tax Commission, Kenneth P. Naquin, Jr., Member of the Louisiana Tax Commission, and Russel R. Gaspard, Member of the Louisiana Tax Commission.
Tennessee Gas Pipeline Company
v.
Louisiana Tax Commission, Russel R. Gaspard, Chairman of the Louisiana Tax Commission, Kenneth P. Naquin, Jr., Member of the Louisiana Tax Commission, and Jewette Farley, Member of the Louisiana Tax Commission.
ANR Pipeline Company
v.
Louisiana Tax Commission, Russel R. Gaspard, Chairman of the Louisiana Tax Commission, Kenneth P. Naquin, Jr., Member of the Louisiana Tax Commission, and Jewette Farley, Member of the Louisiana Tax Commission.
Southern Natural Gas Company
v.
Louisiana Tax Commission, Russel R. Gaspard, Chairman of the Louisiana Tax Commission, Kenneth P. Naquin, Jr., Member of the Louisiana Tax Commission, and Jewette Farley, Member of the Louisiana Tax Commission.
ANR Pipeline Company
v.
Louisiana Tax Commission, Jerry J. Larpenter, Terrebonne Parish Tax Collector, and Gene P. Bonvillain, Terrebonne Parish Assessor.
ANR Pipeline Company
v.
Louisiana Tax Commission, Richard Fewell, Ouachita Parish Tax Collector, and Rich Bailey, Ouachita Parish Assessor.

Nos. 2008 CA 1148, 2008 CA 1149, 2008 CA 1150, 2008 CA 1151, 2008 CA 1152, 2008 CA 1153, 2008 CA 1154, 2008 CA 1155, 2008 CA 1156, 2008 CA 1157, 2008 CA 1158, 2008 CA 1159, 2008 CA 1160, 2008 CA 1161, 2008 CA 1162.

Court of Appeal of Louisiana, First Circuit.

October 17, 2008.
Rehearing Denied December 3, 2008.

*94 Hilton S. Bell, Heather Landry, James K. Irvin, Angela W. Adolph, New Orleans, LA, for Plaintiffs-2nd Appellants, ANR Pipeline Company, Tennessee Gas Pipeline Company and Southern Natural Gas Company.

Robert D. Hoffman Jr., Covington, LA, for Defendant-Appellee, Louisiana Tax Commission.

*95 Brian A. Eddington, Baton Rouge, LA, for Defendants-1st Appellants, Gene P. Bonvillian, Assessor of Terrebonne Parish, and Rich Bailey, Assessor of Ouachita Parish.

Before PETTIGREW, McDONALD, and HUGHES, JJ.

PETTIGREW, J.

In these consolidated cases, the plaintiffs filed a motion with the trial court seeking to enforce the judgment previously rendered by this court in ANR Pipeline Co. v. Louisiana Tax Com'n, XXXX-XXXX (La.App. 1 Cir. 9/7/05), 923 So.2d 81, writ denied, 2005-2372 (La.3/17/06), 925 So.2d 547, cert. denied, 549 U.S. 822, 127 S.Ct. 157, 166 L.Ed.2d 38 (2006) ("ANR VI"), concerning the reassessment of the plaintiffs' public service pipelines and the deadlines for refunds of the difference between the amounts paid during the years 1994 through 2003 ("the tax years at issue") and the reassessed values. The trial court rendered judgment on August 6, 2007, attempting to follow this court's intent as set forth in our ruling in ANR VI. The instant appeals followed. For the reasons set forth below, we affirm in part, reverse in part, and remand.

FACTS AND PROCEDURAL HISTORY

Even prior to this court's decision in ANR VI, the parties to this litigation were no strangers to this court. In fact, the history of this case dates back to October 2000, when the first appeal in this case was lodged with our court. In ANR Pipeline Co. v. Louisiana Tax Com'n, 2000-2251 (La.App. 1 Cir. 12/22/00), 774 So.2d 1261, writ denied, XXXX-XXXX (La.4/20/01), 790 So.2d 633, we considered that very appeal and issued a ruling concerning ANR's challenge of the ad valorem taxes assessed against its public service pipelines. There have been numerous other appeals and writ applications in this matter since that date, and the underlying facts of this case are well known to both this court and the parties herein. However, due to the complex nature of this protracted litigation, a brief review of the procedural history that has brought us to this point is warranted and will be helpful in understanding the court's analysis that follows.

ANR Pipeline Company, Tennessee Gas Pipeline Company, and Southern Natural Gas Company ("plaintiffs")[1] provide natural gas transportation, storage, and balancing services in Louisiana and in interstate commerce and are regulated by the Federal Energy Regulatory Commission pursuant to the Natural Gas Act, 15 U.S.C. § 717, et seq. Plaintiffs each own interstate natural gas transmission pipelines in Louisiana, which properties are classified and taxed as public service properties under La. R.S. 47:1851(K) and (M).[2]

*96 During the tax years at issue, a number of intrastate natural gas, oil, and other liquid pipeline companies were regulated by the Louisiana Public Service Commission as provided in La. R.S. 30:551(A) and qualified as public service companies under La. R.S. 47:1851(K). The pipelines of these companies, however, were assessed by local assessors at fifteen percent (15%) of fair market value, while the public service properties of plaintiffs were assessed at twenty-five percent (25%) of fair market value.

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Bluebook (online)
997 So. 2d 92, 2008 WL 4603393, Counsel Stack Legal Research, https://law.counselstack.com/opinion/anr-pipeline-co-v-louisiana-tax-comn-lactapp-2008.