Ewald's v. City of Louisville

181 S.W. 1095, 168 Ky. 71, 1916 Ky. LEXIS 528
CourtCourt of Appeals of Kentucky
DecidedJanuary 25, 1916
StatusPublished
Cited by3 cases

This text of 181 S.W. 1095 (Ewald's v. City of Louisville) is published on Counsel Stack Legal Research, covering Court of Appeals of Kentucky primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Ewald's v. City of Louisville, 181 S.W. 1095, 168 Ky. 71, 1916 Ky. LEXIS 528 (Ky. Ct. App. 1916).

Opinion

OpinioN of the Court by

Judge Carroll

— Affirming in each case.

A majority of the members, of the court finding themselves unable to agree as to the judgment that should be entered in these cases, the judgments appealed from must stand affirmed. But in view of the unusual and peculiar situation involved we have thought it proper to set out shortly the facts in the case and briefly the points of difference between the judges that prevent a majority of the court, or four of the judges, from agreeing on an opinion.

The Ewald Iron Company was incorporated under the laws of Kentucky on November 5, 1880. The articles of incorporation specified that the corporation should expire in twenty-five years, or on November 5, 1905. The articles of incorporation further specified that the principal office and place of business of the corporation should be in Lyon county, and the company conducted its business, which was the manufacture of iron, in Lyon county until 1886, when it removed its business to the city of Louisville, in Jefferson county. The company owned a large body of land in-Lyon county, and yet owns it, but after 1886 it did not carry on in any manner or form the business of manufacturing iron in Lyon county. [72]*72In fact, its business in this respect was as completely removed to Louisville and there carried on as if it had never established or maintained a plant in Lyon .county.

Prom the time of the removal to Louisville until the expiration of the charter in 1905, the entire business of the company in'this State was carried on in the name of the company in Louisville, although the corporate home of the company, under the articles of incorporation, continued to be in Lyon county. When the life of the corporation expired on November 5, 1905, the business continued to be conducted in the name of the Ewald Iron Company, at Louisville, Kentucky, exactly in the same manner that it had been conducted during’ the life of the corporation, and this method of conducting the business continued without interruption until September, 1909.

Prior to 1904 L. P. Ewald, by purchases of the stock, became the sole stockholder of the company, and so continued to be until his death in July, 1909, and during all of this time, and for many years prior' thereto, he had been continuously a resident of the city of Louisville.

For the years 1904 to 1908, inclusive, the Ewald Iron Company listed for taxation in its name the land in Lyon county and paid the taxes assessed thereon, but did not, during any of these years, list for taxation or pay taxes on the money sought to be subjected to the payment of taxes in these proceedings.

From the time of the removal of the business of the company to Louisville in 1886, until after the death of Ewald, in 1909, the company paid taxes to the city of Louisville and the State on its manufacturing plant .and other tangible property located in the city of Louisville, but did not at any time list for assessment or pay any taxes on the money sought to be assessed in these proceedings. L. P. Ewald, although the sole owner of the Ewald Iron Company, continued to conduct all the business connected with the manufacturing plant in the name of the Ewald Iron Company until his death in 1909; and the money sought to be subjected in these proceedings to taxes for the years 1904 to 1908, inclusive, was on deposit in four different banks in St. Louis, Missouri, in the name of and to the credit of the Ewald Iron Company, there being to its credit on September 1, 1903, $842,310.25; on September 1, 1904, $1,038,152.09; on September 1, 1905, $1,355,799.96; on September 1, 1906, $1,629,836.36; on September 1, 1907, $1,837,404.48; and [73]*73the taxes due ou this money were payable in the year following the assessment.

It further appears that in all of these years St. Louis, Missouri, was the distributing point for- the product of the Ewald Iron Company manufactured in Louisville, Kentucky. In other words, the Ewald Iron Company maintained an office in St. Louis, and all of its product was sold through this office, and the proceeds of sales paid into this office. It also appears that during these years all of the money on deposit in these four banks had been placed on deposit in the name of the Ewald Iron Company by the direction of L. P. Ewald, and that it was at all times subject to checks drawn by him in the name of the Ewald Iron Company, and that no part of this fund so on deposit in these banks was used in the business of the company. The money needed in the business of the company carried on in St. Louis was kept on deposit in another bank, and whenever any money was needed to carry on the business of the Ewald Iron Company, it was obtained by check drawn on this other bank in which the deposit was from time to time replenished as the necessities of the business required. In short, the money mentioned, on deposit in the four banks, appears to have been accumulated from surplus earnings of the Ewald Iron Company that were not needed in the conduct of its business.

In 1910, after the death of Ewald, and five years after the life of the corporation had expired, a revenue agent for the State instituted an action in the Lyon County Court against the Ewald Iron Company seeking to have listed for taxation as omitted property, as of September 1, 1909, $1,800,000.00 on deposit in St. Louis banks to the credit of the Ewald Iron Company. The county court entered a judgment assessing the property, and on an appeal to the circuit court, the judgment of the county court was sustained. From this judgment an appeal was taken to this court and the opinion of this court may be found in 140 Ky., 692.

It appears from the opinion in this case that the assessor of the city of Louisville and Jefferson county, claiming that this money sought to be assessed in Lyon county, and which was on deposit in the St. Louis banks in the name of the Ewald Iron Company was in fact the money of L. P. Ewald’s estate, assessed it as of September 1, 1909, in the name of L. P. Ewald’s executor. On [74]*74the appeal to this court, the attorney for the city of Louisville, although neither the city of Louisville nor Jefferson county was a party to the suit, appeared by permission of the court in the case and insisted that the Jefferson county assessment should he sustained.

As said by the court in the opinion: “The only question made is whether it should be assessed as the property of the Ewald Iron Company in Lyon county, or in the name of L. P. Ewald, in Jefferson county. It is agreed that Lyon county was the residence of the corporation, and if the property should be assessed,in its name, it must be assessed there. It is also agreed that Jefferson county was the residence of L. P. Ewald, and if .the property should be assessed in his name, it should be assessed in Jefferson county.”

Section 561 of the Kentucky Statutes provides, in part* “And when any corporation expires by the terms of the articles of incorporation, or by the voluntary act of its stockholders, it may thereafter continue to act for the purpose of closing up its business, but for no other purpose; and it shall be the duty of the officers to settle up its affairs and business as speedily as possible.” Construing this statute, the court in the opinion said:

“When the charter of the Ewald Iron Company expired, it wholly disregarded the statute. It did not proceed in any sense to close up its business, and took no steps in this direction, hut continued to do business just as it had before in disregard of the statute. *' * *

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Related

Commonwealth v. Fidelity & Columbia Trust Co.
215 S.W. 42 (Court of Appeals of Kentucky, 1919)
City of Louisville v. Fidelity & Columbia Trust Co.
206 S.W. 778 (Court of Appeals of Kentucky, 1918)
Ewald's v. City of Louisville
188 S.W. 652 (Court of Appeals of Kentucky, 1916)

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Bluebook (online)
181 S.W. 1095, 168 Ky. 71, 1916 Ky. LEXIS 528, Counsel Stack Legal Research, https://law.counselstack.com/opinion/ewalds-v-city-of-louisville-kyctapp-1916.