BRUCE & MERRILEES ELEC. CO. v. Com. of Pa.

530 A.2d 994, 109 Pa. Commw. 101
CourtCommonwealth Court of Pennsylvania
DecidedSeptember 2, 1987
Docket897 C.D. 1980, 1331 C.D. 1980 and 182 C.D. 1985
StatusPublished

This text of 530 A.2d 994 (BRUCE & MERRILEES ELEC. CO. v. Com. of Pa.) is published on Counsel Stack Legal Research, covering Commonwealth Court of Pennsylvania primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
BRUCE & MERRILEES ELEC. CO. v. Com. of Pa., 530 A.2d 994, 109 Pa. Commw. 101 (Pa. Ct. App. 1987).

Opinion

109 Pa. Commonwealth Ct. 101 (1987)
530 A.2d 994

Bruce & Merrilees Electric Company, Petitioner
v.
Commonwealth of Pennsylvania, Respondent.
Bruce & Merrilees Electric Company, Petitioner
v.
Commonwealth of Pennsylvania, Respondent.
Bruce & Merrilees Electric Company, Inc., Petitioner
v.
Commonwealth of Pennsylvania, Respondent.

Nos. 897 C.D. 1980, 1331 C.D. 1980 and 182 C.D. 1985.

Commonwealth Court of Pennsylvania.

September 2, 1987.
Argued April 23, 1987.

*102 Before Judges COLINS and PALLADINO, and Senior Judge NARICK, sitting as a panel of three.

*103 Keith A. Hunter, Mahler & Shaffer, for petitioner.

Paul S. Roeder, Deputy Attorney General, with him, John G. Knorr, III, Deputy Attorney General, and LeRoy S. Zimmerman, Attorney General, for respondent.

OPINION BY JUDGE COLINS, September 2, 1987:

Bruce & Merrilees Electric Company (taxpayer), an electrical equipment supplier and construction contractor, challenges orders of the Board of Finance and Revenue (Board) which modified or sustained decisions of the Board of Appeals pursuant to three assessments issued by the Commonwealth of Pennsylvania, Department of Revenue (Commonwealth) for the payment of additional sales and use tax accruing during the audit periods January 1, 1970 through December 31, 1972 (No. 897 C.D. 1980), January 1, 1973 through February 28, 1977 (No. 1331 C.D. 1980), and January 1, 1980 through June 30, 1983 (No. 182 C.D. 1985). These appeals have been consolidated for our consideration. Because of the evolution of the law over the thirteen years covering these assessments, we will consider them individually and in chronological sequence.

*104 Appeals to this Court from the Board are de novo. In accordance with Pa. R.A.P. No. 1571(f), the taxpayer and the Commonwealth have entered into and filed a Partial Stipulation of Facts for each of the three assessments which we accept and adopt, in pertinent part, as findings of fact for the purposes of this appeal. From those stipulations and from our review of the evidence presented at a hearing on March 3, 1986, we distill the following Findings of Fact:

FINDINGS OF FACT

1. Taxpayer is Bruce and Merrilees Electric Company, a duly organized Pennsylvania corporation engaged in business as an electrical construction contractor and electrical equipment supplier.

2. During the first assessment period here at issue, January 1, 1970 through December 31, 1972 (No. 897 C.D. 1980 or first audit), the Commonwealth conducted a complete audit of taxpayer's books and records and issued the following assessment (No. A-66495):

    Sales Tax          $     0.00
    Use Tax             13,338.89
    Interest to 5-15-73  1,927.45
    Penalty                943.12
                       __________
    Total due the
    Commonwealth       $16,209.46

3. Taxpayer conceded use tax in the amount of $417.18 as due and owing but filed an appeal with the Board of Appeals, contesting the remainder of the use tax assessed.

4. The Board of Appeals, after a hearing, issued a decision and order abating the penalties but sustaining the remainder of the assessment.

5. Taxpayer filed a timely Petition for Review with the Board of Finance and Revenue, which Board issued *105 a decision reducing the use tax assessment to $6,762.39 plus appropriate interest.

6. Taxpayer filed a timely Petition for Review with this Court and the matter was docketed at No. 897 C. D. 1980.

7. The Commonwealth conducted a complete audit of taxpayer's books and records for the period of January 1, 1973 to February 28, 1977 (No. 1331 C. D. 1980 or second audit), and issued the following assessment (No. A-80162):

    Sales Tax               $  3,717.42
    Use Tax                   97,697.53
    Interest due to
    7-15-77                   14,843.26
    Penalty                   14,419.79
                             ___________
    Total due Commonwealth  $130,678.00

8. Upon taxpayer's timely Petition for Reassessment, the Board of Appeals sustained the tax assessment, with interest, but abated the penalties imposed.

9. Upon further appeal, the Board of Finance and Revenue reduced the assessment as follows:

    Sales Tax              $ 2,459.11
    Use Tax                 26,001.16
                           __________
    Total due Commonwealth
    plus appropriate       $28,460.27
    interest

10. The taxpayer conceded $2,824.34 of the sales and use tax assessment, collectively, as due and owing, but filed a timely Petition for Review with this Court contesting the remaining assessed amounts, and the matter was docketed at No. 1331 C.D. 1980.

11. The Commonwealth conducted a complete audit of taxpayer's books and records pertaining to construction activities for the period of January 1, 1980 *106 through June 30, 1983 (No. 182 C.D. 1985 or third audit) and a test audit of retail sales for this same period and issued the following assessment (No. A-88900):

    Sales Tax                $ 49,237.53
    Use Tax                    46,299.59
    Interest to 3-29-84        21,786.47
    Penalty                    13,046.61
                             ___________
    Total due Commonwealth   $130,370.20

12. Taxpayer timely appealed the remaining assessment to the Board of Appeals and that Board, after a hearing, sustained the assessment in its entirety.

13. Upon further appeal, the Board of Finance and Revenue, in turn, sustained the assessment in its entirety.

14. Taxpayer conceded that $4,917.23 of the sales tax and $6,218.30 of the use tax assessed was due and owing to the Commonwealth.

15. Taxpayer filed a timely Petition for Review with this Court and the matter was docketed at No. 182 C.D. 1985.

16. Materials utilized by taxpayer in constructing concrete elevation and stabilization pads as foundations for electrical equipment lose their identity as tangible personal property, become a permanent part of the realty and are thus subject to use tax.

DISCUSSION

In its dual capacity as a retail electrical materials supplier and an electrical contractor, taxpayer's activities are subject to "sales tax" upon "each separate sale at retail of tangible personal property" and "use tax" upon "the use . . . of tangible personal property purchased at retail" in the performance of construction contracts, *107 pursuant to Sections 202(a) and (b) of the Tax Reform Code of 1971 (Code), Act of March 4, 1971, P.L. 6, as amended, 72 P.S. §7202(a) and (b),[1] respectively.

In this multi-faceted appeal, taxpayer primarily challenges the Commonwealth's assessment of: (1) use tax upon materials and supplies incorporated into concrete elevation and stabilization pads comprising foundations for electrical equipment such as traffic lights and transformers; (2) use tax upon certain tools and safety equipment utilized by taxpayer in the performance of its construction contracts; and (3) sales tax upon taxpayer's retail sales of electrical supplies and upon certain electrical transformers, substations and capacitors installed by taxpayer pursuant to contract.

In our consideration of taxpayer's challenges, we are guided by our Supreme Court's decision in Commonwealth v.

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Related

Commonwealth v. Beck Electric Construction, Inc.
403 A.2d 553 (Supreme Court of Pennsylvania, 1979)
Oberg Manufacturing Co. v. Commonwealth
486 A.2d 1047 (Commonwealth Court of Pennsylvania, 1985)
Ernest Renda Construction Co. v. Commonwealth
504 A.2d 1349 (Commonwealth Court of Pennsylvania, 1986)
Bruce & Merrilees Electric Co. v. Commonwealth
530 A.2d 994 (Commonwealth Court of Pennsylvania, 1987)

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Bluebook (online)
530 A.2d 994, 109 Pa. Commw. 101, Counsel Stack Legal Research, https://law.counselstack.com/opinion/bruce-merrilees-elec-co-v-com-of-pa-pacommwct-1987.