Comcast Corporation v. Dept. of Rev.

CourtOregon Tax Court
DecidedDecember 10, 2014
DocketTC-MD 140214C
StatusUnpublished

This text of Comcast Corporation v. Dept. of Rev. (Comcast Corporation v. Dept. of Rev.) 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
Comcast Corporation v. Dept. of Rev., (Or. Super. Ct. 2014).

Opinion

IN THE OREGON TAX COURT MAGISTRATE DIVISION Corporate Excise Tax

COMCAST CORPORATION AND ) SUBSIDIARIES, ) ) Plaintiff, ) TC-MD 140214C ) v. ) ) DEPARTMENT OF REVENUE, ) State of Oregon, ) ) Defendant. ) ORDER

This matter is before the court on cross-motions for partial summary judgment. The

appeal involves Plaintiff’s1 challenge to Defendant’s three January 24, 2014, Notices of

Deficiency Assessments (assessments) for the tax years ending December 31, 2007,

December 31, 2008, and December 31, 2009. (Ptf’s Comp at 2, Compl Exs 6-8.)

Marilyn J. Harbur (Harbur), Senior Assistant Attorney General, and Daniel Paul (Paul),

Assistant Attorney General, filed briefs on behalf of Defendant.2 Mark P. Trinchero (Trinchero),

and Gregory A. Chaimov (Chaimov), Davis Wright Tremaine LLP, filed briefs on behalf of

Plaintiffs. With them on Plaintiff’s briefs were Jeffrey A. Friedman, Alicia Pilar Mata, and

Timothy A. Gustafson, Sutherland Asbill & Brennan LLP. Defendant’s initial Motion for Partial

Summary Judgment was filed with the court on July 30, 2014 (Def’s Mot Partial Summ J).

Plaintiff’s cross-motion for summary judgment, titled Plaintiff’s Motion for Partial Summary

1 Comcast Corporation and Subsidiaries (the named Plaintiffs in this case) refer to the organization in its motions “collectively [as] ‘Plaintiff.’ (Ptf’s Mot Partial Summ J at 1; Ptf’s Mem Opp’n Def’s Mot Partial Summ J at 1.) For clarity, consistency, and ease of reference, the court adopts Plaintiff’s chosen corporate identification appearing in its briefings filed with this court. 2 The court lists Defendant first because the original briefing schedule called for Defendant to submit a Motion for Partial Summary Judgment, followed by a response by Plaintiff, and then a reply by Defendant. After Defendant filed its summary judgment motion, Plaintiff filed its own Motion for Partial Summary Judgment.

ORDER TC-MD 140214C 1 Judgment and Points and Authorities (Ptf’s Mot Partial Summ J), was filed with the court on

August 26, 2014. The parties filed additional responsive memorandums, and briefing closed

October 21, 2014.3 The parties did not request oral argument.

I. FACTS

A. Operational Overview of Plaintiff’s Business

Plaintiff was “a leading provider of video, high-speed Internet and digital [Voice over

Internet Protocol, or VoIP] phone services” during 2007, 2008, and 2009, the tax years at issue.

(Ptf’s Mot Partial Summ J at 2; Def’s Mot Partial Summ J at 2; see also Ptf’s Ex 1 at 3, Ex 2 at 3,

Ex 3 at 5; Def’s Exs C at 3, D at 3, E at 5.)4 Plaintiff provided all three of those services through

its “coaxial and/or fiber optic cable network[.]” (Ptf’s Mot Partial Summ J at 2, First Donnelly

Decl at 2; see also Def’s Mot Partial Summ J at 2.)

During the three tax years at issue (2007, 2008, and 2009), Plaintiff provided its services

“in several states, including Oregon.” (Ptf’s Compl at 1; Def’s Mot Partial Summ J at 2.5) The

parties agree that Plaintiff’s cable systems allowed for the two-way transmission of electronic

3 Defendant filed its Motion for Partial Summary Judgment on July 30, 2014. Plaintiff filed a Motion for Partial Summary Judgment on August 26, 2014, pursuant to the provisions in Tax Court Rule (TCR) 47 A, and a Memorandum in Opposition to Defendant’s Motion for Partial Summary Judgment (Ptf’s Mem Opp’n Def’s Mot Partial Summ J) on September 2, 2014. Plaintiff’s two submissions were accompanied by the first and second declarations of Thomas J. Donnelly, Vice President, State and Local Tax, for Plaintiff (Donnelly). On September 15, 2014, Defendant filed a single combined response to Plaintiff’s two separate briefings (Ptf’s Cross Mot Summ J and Mem Opp’n Def’s Mot Summ J, described above). Defendant titled that document Response to Plaintiffs’ Motion For Partial Summary Judgment and Reply (Def’s Resp & Reply). Defendant’s two submissions (Def’s Mot Partial Summ J and Resp & Reply) were accompanied by the first and second declarations of Marilyn J. Harbur. Defendant subsequently submitted a Supplemental Authority (Def’s Supp Auth), filed on October 14, 2014, because of the October 2, 2014 Oregon Supreme Court Opinion in Comcast Corporation v. Department of Revenue (Comcast II), 356 Or 282 (2014). Plaintiff responded with a Supplemental Reply in Support of its Motion for Partial Summary Judgment and Supplemental Opposition to Defendant’s Motion for Partial Summary Judgment (Ptf’s Supp Reply), which the court received and filed on October 21, 2014. 4 The parties submitted identically-numbered copies of Plaintiff’s Form 10-K annual reports for each of the tax years at issue. (Compare First Harbur Decl, Exs C-E with First Donnelly Decl, Exs 1-3.) 5 Defendant quotes from Plaintiff’s 2007 Form 10-K, in part: “[w]e are the largest cable operator in the United States,” which implies Plaintiff operates in at least two states. (Def’s Mot Partial Summ J at 2.)

ORDER TC-MD 140214C 2 signals for all three tax years before the court. (Ptf’s Mot Partial Summ J at 2, Ptf’s Mem Opp’n

Def’s Mot Partial Summ J at 2; Def’s Resp & Reply at 3-4.)

B. Plaintiff’s Revenue Sources

Plaintiff reported its operations in two segments, Cable and Programming. (Def’s Mot

Partial Summ J at 2; Ptf’s Ex 1 at 3, Ex 2 at 3, Ex 3 at 5.)

1. Cable Segment Rrevenues

Plaintiff derived its “Cable” segment revenues primarily from its video, Internet, and

phone services, although it generated an additional revenue from “advertising,” “other sources,”

and “franchise fees.” (Ptf’s Mot Partial Summ J at 2-4; Def’s Mot Partial Summ J at 2-3.)

Plaintiff’s 2009 Form 10-K states that it generated revenues “primarily from subscriptions to [its]

video, high-speed Internet and phone services (‘cable services’) and from the sale of

advertising.” (Def’s Ex E at 55; Ptf’s Ex 3 at 55.) During the tax years at issue Plaintiff’s Cable

segment served from 23.6 to 24.2 million video subscribers, from 13.2 to 15.9 million high-

speed Internet subscribers, and from 4.6 to 7.6 million phone subscribers. (Ptf’s

Ex 1 at 3, Ex 2 at 3, Ex 3 at 5.)

Plaintiff’s Cable segment accounted for 95 percent of its consolidated revenue and 95

percent of its assets during the tax years at issue. (Id.) Plaintiff’s revenues from its Cable

segment were generated in the following proportions from its various activities:

///

ORDER TC-MD 140214C 3 2009 2008 2007 Video 57.2% 58.8% 60.9% High-speed internet 22.9% 22.2% 21.7% Phone 9.6% 8.1% 6.0% Advertising 4.3% 5.2% 5.9% Franchise fees 2.8% 2.8% 2.8% Other 3.2% 2.9% 2.7% Total 100%6 100% 100%

(Def’s Ex E at 78; Ptf’s Ex 3 at 78.)

2. Programming Segment Revenues

Plaintiff’s Programming segment was primarily comprised of its “consolidated national

programming networks, including E!, The Golf Channel, VERSUS, G4 and Style.” (Ptf’s Ex 1

at 3; Ptf’s Mot Partial Summ J at 3; see also Ptf’s Mem Opp’n Def’s Mot Partial Summ J at 4.)

C. Plaintiff’s Electronic Signal Transmissions

The parties agree that Plaintiff’s video services permitted its subscribers to send

electronic signals back to it across its cable network. (Def’s Resp at 3; Ptf’s Mot Partial Summ J

at 2, 4; Ptf’s Mem Opp’n Def’s Mot Partial Summ J at 2-3; Second Donnelly Decl at 1-2.)

Plaintiff explains that its video services “involved one-way and/or two-way transmission[s] of

electronic signals.” (Ptf’s Mot Partial Summ J at 2, quoting First Donnelly Decl ¶ 4.) The

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