Cynthia Bridges, SEC. Dept. of Rev., State of Louisiana v. Nelson Industrial Steam Co.

CourtLouisiana Court of Appeal
DecidedJune 24, 2015
DocketCA-0014-1250
StatusUnknown

This text of Cynthia Bridges, SEC. Dept. of Rev., State of Louisiana v. Nelson Industrial Steam Co. (Cynthia Bridges, SEC. Dept. of Rev., State of Louisiana v. Nelson Industrial Steam Co.) 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
Cynthia Bridges, SEC. Dept. of Rev., State of Louisiana v. Nelson Industrial Steam Co., (La. Ct. App. 2015).

Opinion

STATE OF LOUISIANA COURT OF APPEAL, THIRD CIRCUIT

14-1250

CYNTHIA BRIDGES, SEC., DEPT. OF REV., STATE OF LOUISIANA

VERSUS

NELSON INDUSTRIAL STEAM CO.

Consolidated With 14-1251

CALCASIEU PARISH SCHOOL SYSTEM SALES AND USE TAX DEPT., ET AL.

Consolidated With 14-1252

Consolidated With 14-1253

CALCASIEU PARISH SCHOOL SYSTEM SALES AND USE TAX DEPT., ET AL. **********

APPEAL FROM THE FOURTEENTH JUDICIAL DISTRICT COURT PARISH OF CALCASIEU, NO. 2008-6375, C/W 2010-3564, C/W 2010-5853 & C/W 2013-2661 HONORABLE RONALD F. WARE, DISTRICT JUDGE

**********

ULYSSES GENE THIBODEAUX CHIEF JUDGE

Court composed of Ulysses Gene Thibodeaux, Chief Judge, Billy Howard Ezell, and John E. Conery, Judges.

CONERY, J., dissents and assigns reasons.

AFFIRMED.

H. Alan McCall Stockwell, Sievert, Viccellio, Clements & Shaddock Post Office Box 2900 Lake Charles, Louisiana 70602 Telephone: (337) 436-9491 COUNSEL FOR: Defendant/Appellant - Nelson Industrial Steam Co.

Christopher J. Dicharry Linda S. Akchin Kean Miller LLP 400 Convention Street - Suite 700 Baton Rouge, Louisiana 70802 Telephone: (225) 387-0999 COUNSEL FOR: Defendant/Appellant - Nelson Industrial Steam Co.

Russell J. Stutes, Jr. Stutes & Lavergne, LLC 600 Broad Street Lake Charles, Louisiana 70601 Telephone: (337) 433-0022 COUNSEL FOR: Plaintiffs/Appellees - Cynthia Bridges, Sec., Dept. of Rev., State of Louisiana; Calcasieu Parish School System Sales & Use Tax Dept., and John Collins, Tax Administrator Cheryl M. Kornick Liskow & Lewis One Shell Square 701 Poydras Street - Suite 5000 New Orleans, Louisiana 70139-5009 Telephone: (504) 581-7979 BRIEF OF AMICUS CURIAE - Louisiana Chemical Association THIBODEAUX, Chief Judge.

Nelson Industrial Steam Company (NISCO) appeals four judgments

rendered against it in four consolidated tax cases. Two judgments in favor of

Cynthia Bridges, Secretary, Louisiana Department of Revenue, State of Louisiana

(State) ordered NISCO to pay taxes, penalties, and interest owed. Two judgments

in favor of Calcasieu Parish School System Sales and Use Tax Department as

Central Collector of Sa1es and Use Tax for the Parish of Calcasieu, and John

Collins1 in his Capacity as Administrator of the Calcasieu Parish School System

Sales and Use Tax Department (Parish), dismissed NISCO’s two suits for refunds

of taxes, penalties, and interest paid under protest. Finding no legal error or

manifest error in the judgments of the trial court, we affirm.

I.

ISSUES

We must decide:

(1) whether the trial court erred in granting judgment against NISCO on the further processing issue;

(2) whether the trial court manifestly erred in not granting NISCO’s request for attorney fees in suit no. 2013-2661 against the Parish;

(3) whether the trial court manifestly erred in imposing penalties against NISCO in suit nos. 2010-3564 and 2013-2661 against the Parish.

1 John Collins is now deceased. II.

FACTS AND PROCEDURAL HISTORY

NISCO constructs and operates power-generating facilities in the

Lake Charles area. During the relevant tax periods, NISCO’s revenue from the

sale of electricity was $739 million. NISCO purchased sand and limestone for its

generating process at a cost of $46 million. Generally, raw materials which are

sold at retail and used up in the manufacturing process are considered tangible

personal property, and they are subject to sales tax at the time of their purchase,

unless a special exemption or exclusion applies. NISCO sought to be exempt from

paying sales tax on its purchase of sand and limestone by invoking the “further

processing” statute.2

The claims of taxes owed by the tax collecting agencies and the

claims of NISCO for the tax exemption/exclusion ultimately resulted in four

consolidated cases: two suits against NISCO by the State to collect taxes for the

tax periods 2005–2007 and 2008–2012; 3 and two suits against the Parish by

NISCO for refunds of taxes paid under protest for tax periods 2007–2009 and

2010–2012.4

The trial court initially heard cross-motions for summary judgment on

the further processing issue and granted summary judgments in favor of the State 2 Louisiana Revised Statutes 47:301(10)(c)(i)(aa) states: “The term ‘sale at retail’ does not include sale of materials for further processing into articles of tangible personal property for sale at retail.” 3 Suit no. 2008-6375, Cynthia Bridges, Secretary, Department of Revenue, State of Louisiana v. Nelson Industrial Steam Company; and suit no. 2010-5853, Cynthia Bridges, Secretary, Department of Revenue, State of Louisiana v. Nelson Industrial Steam Company, respectively. 4 Suit no. 2010-3564, Nelson Industrial Steam Company v. Calcasieu Parish School System Sales and Use Tax Department, et al.; and suit no. 2013-2661, Nelson Industrial Steam Company v. Calcasieu Parish School System Sales and Use Tax Department, et al., respectively.

2 and the Parish in the first three suits. On appeal, this court affirmed. Bridges v.

Nelson Industrial Steam Co., 12-477 (La.App. 3 Cir. 11/7/12), 106 So.3d 147. The

Louisiana Supreme Court granted NISCO’s writ application and vacated the

summary judgment rulings, finding that genuine issues of material fact precluded

summary judgment. Bridges v. Nelson Industrial Steam Co., 13-171 (La. 3/8/13),

108 So.3d 1168. On remand, following a trial on the merits which included the

fourth suit, the trial court rendered judgments again in favor of the State and the

Parish, signing four separate judgments, one for each of the consolidated cases.5

NISCO appealed. For the reasons that follow, we affirm the judgments of the trial

court.

III.

STANDARDS OF REVIEW

Questions of law, such as the proper interpretation of a statute, are

reviewed by an appellate court under the de novo standard of review. Land v.

Vidrine, 10-1342 (La. 3/15/11), 62 So.3d 36. An appellate court may not set aside 5 June 2, 2014 judgment in suit no. 2008-6375, Cynthia Bridges, Secretary, Department of Revenue, State of Louisiana v. Nelson Industrial Steam Company, in favor of the State, ordered NISCO to pay $591,071.91 in taxes, $12,929.10 in penalties, and $410,812.31 in interest through March 25, 2014, plus accruing interest (Appeal No. 14-1250);

June 2, 2014 judgment in suit no. 2010-3564, Nelson Industrial Steam Company v. Calcasieu Parish School System Sales and Use Tax Department, et al., in favor of the Parish, dismissed NISCO’s suit for refund of $911,683.79 in taxes, $227,921.01 in penalties, and $271,162.18 in interest through July 12, 2010, that were paid under protest (Appeal No. 14- 1251);

June 2, 2014 judgment in suit no. 2010-5853, Cynthia Bridges, Secretary, Department of Revenue, State of Louisiana v. Nelson Industrial Steam Company, in favor of the State, ordered NISCO to pay $1,216,895.77 in taxes, $6,598.41 in penalties, and $310,589.16 in interest through March 25, 2014, plus accruing interest (Appeal No. 14-1252); and

June 2, 2014 Judgment in suit no. 2013-2661, Nelson Industrial Steam Company v. Calcasieu Parish School System Sales and Use Tax Department, et al., in favor of the Parish, dismissed NISCO’s suit for refund of $1,076,032.73 in taxes, $269,008.29 in penalties, and $275,788.58 in interest through May 13, 2013, that were paid under protest (Appeal No. 14- 1253).

3 a trial court’s findings of fact in the absence of manifest error or unless the findings

are clearly wrong. Stobart v. State, Through DOTD, 617 So.2d 880 (La.1993);

Rosell v. ESCO, 549 So.2d 840 (La.1989).

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