Christianson v. State Tax Commission
This text of 402 P.2d 743 (Christianson v. State Tax Commission) is published on Counsel Stack Legal Research, covering Oregon Supreme Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.
Opinion
This is a suit to set aside an order of defendant assessing a tax deficiency against plaintiffs. Defendant appeals from a decree of the Oregon Tax Court overruling defendant’s demurrer to plaintiffs’ complaint. 2 OTC Adv Sh 49 (Dec. 1964).
Plaintiffs sold certain property at a price which resulted in a capital gain. The full amount of the capital gain was applied upon the purchase price of residential property for plaintiffs’ personal use.
ORS 316.406 to 316.450 provide for “special treatment of capital gains,” affording the taxpayer an opportunity to reduce his personal income tax if he invests a capital gain in certain qualifying investments.
ORS 316.414 (1) provides:
“(1) Capital gains for any tax year qualify for special treatment under ORS 316.434 to 316.450 [506]*506to the extent that the taxpayer makes a good faith investment as provided in ORS 316.414 to 316.432 of sneh capital gains in qualifying investments listed in ORS 316.420.”
ORS 316.420 (1) then provides:
“(1) A qualifying investment under ORS 316.414 is:
“(a) Real property in Oregon.
“ (b) Investment in a corporation determined to be a qualifying corporation under ORS 316.426 on the date the investment is made.
“ (c) Investment in partnership qualifying under subsection (2) of this section.
“(d) Investment as a sole proprietor in a business qualifying under subsection (3) of this section.
“(e) Mortgages on real property located in Oregon if the mortgage is for a period of three years or more.
“(f) Payments made by the taxpayer on a loan made to the taxpayer if the proceeds of the loan are invested in an investment that qualifies under paragraphs (a) to (e) of this subsection.”
The trial court assumes that the employment of money in the purchase of a personal residence is an “investment” of capital. This is not the ordinary usage of that term. Generally the word “investment” is used to describe the employment of capital for the purpose of obtaining income or profit.
The most that can be argued in favor of the taxpayers is that the term “investment” as used in ORS 316.414 is ambiguous. However, this does not help them because resort to other sections of the Oregon tax statutes resolves the ambiguity in favor of the tax commission.
The interpretation adopted by the lower court runs counter to the general pattern of tax law relating to personal residences. The expenditure of money for a personal residence is not regarded under either federal or Oregon tax statutes as an outlay of capital in a business sense. Thus a loss incurred in the sale of a personal residence is not deductible as a tax loss and depreciation of a personal residence is not [508]*508allowed as a deduction.
Plaintiffs point out that the category “Real property in Oregon” in subsection (a) of ORS 316.420 (1) is not modified by the words “investment in” and that the other categories in ORS 316.420 (1) are so modified. We attach no significance to this difference. When ORS 316.414 (1) and ORS 316.420 (1) are read together it is clear that the purchase of real property in Oregon is given favored treatment only if the capital gain is invested in it.
The decree of the lower court is reversed.
Webster’s New International Dictionary, (2d ed 1961) contains five definitions of the term “investment,” but only one relates to an expenditure of capital:
“2. The investing of money or capital in some species of property for income or profit; the sum invested or the property purchased.”
Accord: Black’s Law Dictionary, 960 (1951); Ballentine, Law Dictionary with Pronunciations, 682 (1930). See also cases cited under 22A Words and Phrases, 231 et seq (1958).
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Cite This Page — Counsel Stack
402 P.2d 743, 240 Or. 504, 1965 Ore. LEXIS 526, Counsel Stack Legal Research, https://law.counselstack.com/opinion/christianson-v-state-tax-commission-or-1965.