Enterprise Products Co. v. Whitman

364 So. 2d 634
CourtLouisiana Court of Appeal
DecidedJanuary 26, 1979
Docket13654, 13655
StatusPublished
Cited by10 cases

This text of 364 So. 2d 634 (Enterprise Products Co. v. Whitman) 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
Enterprise Products Co. v. Whitman, 364 So. 2d 634 (La. Ct. App. 1979).

Opinion

364 So.2d 634 (1978)

ENTERPRISE PRODUCTS COMPANY, Plaintiff-Appellant,
v.
Arvis E. WHITMAN, Sheriff and Ex-Officio Tax Collector of the Parish of Bienville, Defendant-Appellee.

Nos. 13654, 13655.

Court of Appeal of Louisiana. Second Circuit.

October 30, 1978.
Writ Refused January 26, 1979.

*635 Liskow & Lewis by John M. Wilson and George J. Domas, New Orleans, for plaintiff-appellant.

Whitten & Blake by Leon H. Whitten, Jonesboro, McCollister, McCleary, Fazio, Mixon & Holliday by D. Irvin Couvillion and Neil H. Mixon, Jr., Baton Rouge, for defendant-appellee.

Before BOLIN, HALL and JONES, JJ.

HALL, Judge.

Plaintiff, Enterprise Products Company, appeals from a judgment rejecting its demand for the return of certain ad valorem taxes paid under protest to the sheriff and tax collector of Bienville Parish, and ordering it to pay attorney's fees. We affirm the judgment rejecting the demand for recovery of the taxes paid and reverse the judgment ordering plaintiff to pay attorney's fees.

As the stipulated facts establish, Enterprise is engaged in the business of transporting and selling in both interstate and intrastate commerce, liquid petroleum gas products ("LPG") purchased from producers in Louisiana and in other states. The purchased LPG is transported across the state of Louisiana by means of pipelines, trucks and tank cars. The LPG is stored in underground facilities located in Bienville Parish prior to shipment and delivery to customers both in and out of the state of Louisiana. The LPG purchased from both in-state and out-of-state producers is commingled in the facility and deliveries from the commingled supply are made to purchasers in Louisiana and outside the state.

In 1975 and 1976 both the fixed assets at the storage facility and the LPG in storage were assessed for taxation by the assessor of Bienville Parish. For both years Enterprise paid the total tax due but notified the tax collector that the portion of the tax attributable to the LPG in storage was being paid under protest pursuant to LSA-R.S. 47:2110. Pursuant to that statute suits to recover the tax paid under protest, together with 2 percent interest from the date of payment, were timely filed. Subsequently, taxes for 1977 were assessed and paid on the same basis and by joint motion of the parties, recovery of that year's taxes is included within the scope of this litigation.

In these suits, Enterprise contended that it was erroneously and illegally taxed by the defendant because the tax was prohibited by the commerce clause of the United States Constitution and because the LPG was exempted from taxation by La.Const. art. 7, § 21(D)(3). The defendant-tax collector filed a reconventional demand for attorney's fees pursuant to LSA-R.S. 47:1998 totaling 10 percent of the amount of taxes paid under protest.

After trial on stipulated facts the trial court held that (1) the commerce clause of the Constitution of the United States does not prohibit ad valorem taxation of the LPG stored in Bienville Parish regardless of the point of origin or its final destination; (2) that La.Const. art. 7, § 21(D)(3) does not exempt the LPG from ad valorem taxation; and (3) that the attorney's fee of 10 percent of the amount of taxes paid under protest was due. From a judgment rendered accordingly, Enterprise appealed.

On appeal Enterprise has abandoned its contention that the commerce clause of the United States Constitution prohibits state property taxation of the LPG in storage within the state of Louisiana. The issues on appeal are: (1) whether Enterprise's liquor petroleum products in storage in Bienville Parish are exempted from ad valorem taxation under La.Const. art. 7, § 21(D)(3) and its companion statute LSA-R.S. *636 47:1951.3; and (2) whether a taxpayer who pays ad valorem taxes under protest and then unsuccessfully seeks recovery of the tax paid under LSA-R.S. 47:2110 is liable for attorney's fees of 10 percent of the amount of taxes paid under LSA-R.S. 47:1998.

Further expanding on the stipulated facts, in 1975 Enterprise purchased a total of 47,730,941 gallons of LPG, with 29,345,998 gallons purchased from states other than Louisiana and 18,384,943 gallons purchased in the state of Louisiana. Enterprise sold a total of 38,836,612 gallons of LPG with 4,173,801 gallons sold in the state of Louisiana and 34,662,811 gallons sold outside of Louisiana. The amount of LPG stored at the Bienville Parish facilities at any one time during 1975 varied from a low of approximately 12,000,000 gallons to a high of approximately 25,500,000. The average volume stored was 16,085,846 gallons. There is an average turnover of storage volume in the year of 2.4 and the average months of storage, on a first-in, first-out basis, was five months. The amount of taxes assessed and paid under protest for the year was $31,111.20.

During the year 1976 Enterprise purchased a total of 29,043,399 gallons of LPG, 13,976,824 gallons having been purchased in states other than Louisiana and 15,066,575 gallons having been purchased within the state of Louisiana. Enterprise sold a total of 26,093,933 gallons in 1966 with 9,872,672 gallons being sold within the state and 16,221,261 outside the state. The amount of gas stored at the facilities at any one time during 1976 varied from a low of zero to a high of approximately 22,440,000 gallons. The average storage volume in 1976 was 11,031,000 gallons and there was a turnover of average storage volume of 2.37 and an average month of storage of 5.06 months. The tax paid under protest amounted to $60,654.08.

The record does not contain detailed figures for 1977 but the amount paid under protest for that year was $46,538.90.

Tax Exemption

La.Const. art. 7, § 21(D)(3) on which plaintiff relies, exempts from taxation:

"Goods, commodities, and personal property in public or private storage while in transit through this state which are moving in interstate commerce through or over the territory of the state or which are in public or private storage within Louisiana, having been shipped from outside Louisiana for storage in transit to a final destination outside Louisiana, whether such destination was specified when transportation began or afterward."

The companion statute, LSA-R.S. 47:1951.3, upon which plaintiff relies, provides as follows:

"For the purpose of ad valorem taxation, raw materials, goods, commodities and personal property stored in transit in the state while moving in interstate commerce shall not be treated as incorporated into the mass of the property in this state during the time that such raw materials, goods, commodities or personal property, received from outside the state, are held by any owner in public or private storage to be shipped to a point outside the state of Louisiana, whether specified when transportation begins or afterward.
"All such property whether entitled to exemption or not shall be reported to the proper taxing authority on the forms required by law."

The provision in the 1974 Constitution, with minor style and grammatical changes, is a continuation of La.Const. art.

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