Byzantine of Nuys v. Multnomah County, Tc-Md 101321b (or.tax 9-26-2011)

CourtOregon Tax Court
DecidedSeptember 26, 2011
DocketTC-MD 101321B.
StatusPublished

This text of Byzantine of Nuys v. Multnomah County, Tc-Md 101321b (or.tax 9-26-2011) (Byzantine of Nuys v. Multnomah County, Tc-Md 101321b (or.tax 9-26-2011)) is published on Counsel Stack Legal Research, covering Oregon Tax Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Byzantine of Nuys v. Multnomah County, Tc-Md 101321b (or.tax 9-26-2011), (Or. Super. Ct. 2011).

Opinion

DECISION
This matter is before the court on cross motions for summary judgment. Plaintiff appeals the denial of a property tax exemption for tax years 2008-09 and 2009-10 for property identified as Account R210472 (subject property). Oral argument was held on June 2, 2011, in the Tax Courtroom, in Salem, Oregon. Agnes M. Petersen, Attorney at Law, appeared on behalf of Plaintiff. Lindsay R. Kandra, Assistant County Attorney, appeared on behalf of Defendant.

I. STATEMENT OF FACTS
On September 18, 2007 (date of recording), the subject property was conveyed to Plaintiff through a Statutory Warranty Deed. (Def s Mot for Summ J, Ex A.) The Statutory Warranty Deed lists the following information:

"SEND TAX STATEMENTS TO:

"The Byzantine Catholic Bishop of Van Nuys

"4630 North Maryland Avenue

"Portland, OR 97217[.]"

(Id.) (Emphasis in original.) This address was incorrectly listed by the title company. (Ptf's Resp at 2.)

When the subject property was conveyed in 2007, it was exempt from taxation under ORS 307.140. (Def s Mot for Summ J at 1.) The exemption status was due to a statement filed *Page 2 by Plaintiffs predecessor in interest under ORS 307.162. (Id. at 1-2.) Plaintiff did not file an exemption application at the time of the change of ownership in 2007. (Id. at 2.) The use of the subject property did not change when ownership changed; the property was used for religious services by both the old and the new owners. (Id.)

On November 20, 2007, Defendant mailed a "Notification of Status Change." (Def s Mot for Summ J, Ex B at 1.) That notice was for the 2008-09 tax year and was sent to Plaintiff at 4630 North Maryland Avenue, Portland, OR 97217, which was the address listed on the Statutory Warranty Deed. (Id.) The notice stated: "an application is enclosed with this notice for you to file in accordance with ORS 307.162 for a tax exemption on the above referenced location." (Id.) The reason listed on the notice for the status change was a "[c]hange of ownership[.]" (Id.) Plaintiff did not receive the November 20, 2007, notice. (Ptf's Compl at 2; Ptf s Compl, Ex B.) The notice was returned unopened to Defendant by the post office with the notation "NMR," no mail receptacle, on the envelope. (Id.) Defendant put the unopened notice in Plaintiffs file. (Ptf's Compl at 2.) Defendant did not search its records or other sources to locate a different address for Plaintiff. (Id.) Plaintiff owns another parcel of property in Portland under a different account. (Id.) Plaintiffs address of record for that parcel is an address at which Plaintiff receives mail and it is different than the address on record for the subject property. (Id.) On December 3, 2010, Plaintiff filed an application for property tax exemption for the subject property for tax years 2008-09 and 2009-10. Defendant denied Plaintiffs application for both tax years because it was not timely filed (Def s Mot for Summ J at 2; Def s Mot for Summ J, Ex D.)

The 2008-09 and 2009-10 tax statements for the subject property were also sent to Plaintiff at 4630 North Maryland Avenue, Portland, OR 97217. (Def s Mot for Summ J at 2.) *Page 3 Plaintiff did not receive those tax statements. (Ptf s Compl at 2.) The 2008-09 and 2009-10 tax statements were returned unopened to Defendant's office by the post office. (Id.) No payments were made when the taxes became due.

In November 2010, Plaintiff first discovered that the subject property was being taxed. (Ptf s Mot for Summ J at 3; Aff of Father Frank Knusel at 4.) Father Frank Knusel spoke with Defendant's office on behalf of Plaintiff regarding the exemption application and was "instructed by the assessor's office to file in 2 separate requests for exemption for `late filing'." (Aff of Father Frank Knusel at 3) Plaintiff immediately filed applications for exemption under ORS 307.140 on December 3, 2010. (Ptf s Resp at 3; Def s Ex C at 1.) Plaintiffs application for a property tax exemption was granted for tax year 2010-11 and for future years. (Ptf s Resp at 3.) Plaintiffs applications for tax years 2008-09 and 2009-10 were denied by Defendant on the basis that they were not timely filed. (Def s Mot for Summ J at 2.) This appeal followed.

II. ANALYSIS
The parties filed cross motions for summary judgment. The standard for summary judgment is provided by Tax Court Rule (TCR) 47 C, 1 which provides in pertinent part:

"The court shall grant the motion if the pleadings, depositions, affidavits, declarations, and admissions on file show that there is no genuine issue as to any material fact and that the moving party is entitled to prevail as a matter of law. No genuine issue as to a material fact exists if, based upon the record before the court viewed in a manner most favorable to the adverse party, no objectively reasonable juror could return a verdict for the adverse party on the matter that is the subject of the motion for summary judgment."

*Page 4

A. Exemption Request

A taxpayer seeking an exemption under ORS 307.140 must file an application pursuant to the provisions of ORS 307.162.2 ORS 307.140 provides, in relevant part, "[u]pon compliance withORS 307.162, the following property owned or being purchased by religious organizations shall be exempt from taxation[.]" (Emphasis added). ORS 307.162(1), in turn, provides in relevant part:

"[B]efore any real or personal property may be exempted from taxation under ORS * * * 307.140 * * * for any tax year, the institution or organization claiming the exemption shall file with the county assessor, on or before April 1 of the assessment year, a statement * * * listing all real or personal property claimed to be exempt and showing the purpose for which such property is used."

(Emphasis added). An exemption application may be filed as late as December 31 of the assessment year for which an exemption is desired upon payment of a late filing fee. ORS 307.162(2). The language of ORS 307.162(1) does not permit an exemption to be retroactively granted, subject to one exception:

"The only time an exemption may be retroactively granted is when there is an addition or new improvements to an already exempt property. See ORS 307.162(3). Had the legislature chosen to make exemption requests retroactive it would have expressly stated its intent as it did in ORS 307.162(3)."

Richmond Church of God v. Multnomah County Assessor, TC-MD No 021322F, WL 23883576 at *2 (July 24, 2003). Here, the subject property was not an "already exempt property" because a new exemption application required when the ownership changed in 2007.Id.; see also ORS 307.162(1)(a).

Plaintiff acquired the subject property on September 18, 2007, through a Statutory Warranty Deed.

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Byzantine of Nuys v. Multnomah County, Tc-Md 101321b (or.tax 9-26-2011), Counsel Stack Legal Research, https://law.counselstack.com/opinion/byzantine-of-nuys-v-multnomah-county-tc-md-101321b-ortax-9-26-2011-ortc-2011.