Fall River Co. v. State Dept. of Revenue

1999 SD 139
CourtSouth Dakota Supreme Court
DecidedOctober 27, 1999
DocketNone
StatusPublished

This text of 1999 SD 139 (Fall River Co. v. State Dept. of Revenue) is published on Counsel Stack Legal Research, covering South Dakota Supreme Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Fall River Co. v. State Dept. of Revenue, 1999 SD 139 (S.D. 1999).

Opinion

Unified Judicial System

Formatting provided courtesy of State Bar of South Dakota
and South Dakota Continuing Legal Education, Inc.
222 East Capitol Ave.
Pierre, SD 57501-2596
HTML Code © State Bar of South Dakota, 1999


FALL RIVER COUNTY,
a political subdivision of the State of South Dakota,
Plaintiff and Appellant,
v.
SOUTH DAKOTA DEPARTMENT OF REVENUE

and Burlington Northern Santa Fe Railroad Company,
Defendants and Appellees,
and the Counties of Beadle, Brown, Clark, Codington, Corson,
Custer, Day, Edmunds, Grant, Hamlin, Kingsbury, Lake, Marshall,
Minnehaha, Perkins, Roberts, and Walworth,
political subdivisions, for themselves and on behalf of all municipalities,
school districts, townships and any and all other public taxing districts
and governmental subdivisions located therein,
Defendants.
[1999 SD 139]

South Dakota Supreme Court
Appeal from the Sixth Judicial Circuit, Hughes County, SD
Hon. James W. Anderson, Judge
#20883--Affirmed

James Sword, Fall River County State's Attorney, Hot Springs, SD
Attorney for Plaintiff and Appellant Fall River County.

Mark Barnett, Attorney General
David D. Wiest, Assistant Attorney General, Pierre, SD
Attorneys for Defendant and Appellee South Dakota Department of Revenue.

Mark F. Marshall, Johnson, Heidepriem, Miner, Marlow & Janklow, Sioux Falls, SD
Richard A. Malm, Dickinson, Mackaman, Tyler & Hagen, Des Moines, IA
Attorneys for Defendant and Appellee Burlington Northern Santa Fe Railroad Company.

Argued Sep 14, 1999; Opinion Filed Oct 27, 1999

SABERS, Justice.

[¶1] Fall River County (County) appeals the 1997 tax assessment of Burlington Northern & Santa Fe Railway Company (BNSF) by the South Dakota Department of Revenue (DOR). We affirm.

FACTS

[¶2] BNSF is an interstate railroad company which is the entity being evaluated for tax purposes herein. BNSF was created on December 31, 1996 by merging Burlington Northern Railroad Company (BNRR) and Atchison, Topeka and Santa Fe Railway Company (ATSF). See Fall River County v. SD Dept. of Rev. & BNRR, #20886, a similar case relating to the valuation of predecessor, BNRR, for the 1996 tax year, which is being affirmed and expedited simultaneously. For the County's appeal of the 1993 assessment, see Fall River County v. SD Dept. of Rev., 1996 SD 106, 552 NW2d 620.

[¶3] The parent companies of BNRR and ATSF were Burlington Northern, Incorporated (BNI) and Santa Fe Pacific Corporation (SFPC), respectively. BNI and SFPC agreed to merge in 1994 knowing it would take two years to complete. On September 22, 1995, BNI and SFPC formed a separate corporation, the Burlington Northern Santa Fe Corporation. The merger was accomplished through a stock swap where the BNI stock was traded one share for one share in the new entity, while SFPC stock was traded approximately four-tenths of a share for one share in the new entity. On February 1, 1996, this new holding company, Burlington Northern Santa Fe Corporation, was the owner of BNI and SFPC. In turn, BNI owned BNRR, while SFPC owned ATSF.

[¶4] On December 30, 1996, BNI merged with SFPC. On December 31, 1996, ATSF merged with BNRR creating a new railroad named Burlington Northern Santa Fe Railway Company (BNSF).(fn1)  On January 1, 1997, BNSF was owned by SFPC. SFPC was owned by Burlington Northern Santa Fe Corporation. As indicated, BNSF is the entity being evaluated for tax purposes herein.

[¶5] On January 1, 1997, BNSF owned railroad operating property in 18 counties in South Dakota. Pursuant to SDCL 10-28-1, all railroad operating property within the state is subject to tax assessment. The assessment process requires valuing the railroad operating property as a total unit, allocating a proportionate value to the state, and then distributing the taxable value among local taxing jurisdictions. SDCL 10-28-9, -12, -16. Thus, the railroad property is assessed centrally by DOR, but is taxed by local jurisdictions. SDCL 10-28-21.

[¶6] Brad Blinsmon is a property tax specialist employed by DOR to determine the value of centrally assessed properties located within South Dakota on assessment date, January 1 of each year. He has been performing central assessments since September of 1990 and completes approximately fifty central assessments per year. The trial court found that "he is an expert in the area of the central assessment of property."(fn2)  Furthermore, the trial court specifically stated:

The Court considers Mr. Blinsmon to be well qualified as an expert by reason of his education, experience, and training to perform appraisals of railroads and utilities. This Court finds him to be a particularly conscientious, credible, and unbiased witness on unit valuation. Considering each expert's demeanor and motivation in this case, the Court finds Mr. Blinsmon's opinion of value much more persuasive and credible than that of Dr. Ifflander.

[¶7] The 1997 assessment of BNSF was difficult due to the fact that it was a new railroad without historical financial information of its own. Pursuant to SDCL 10-28-3, Blinsmon requested information from BNSF to assist him in his assessment. He prepared a preliminary valuation, which reflected a correlated value of $10 billion. Blinsmon then had a meeting, authorized by SDCL 10-28-15, with BNSF's tax representative, Alan Annis, on July 15, 1997. Annis provided additional information to Blinsmon to consider in his valuation. Annis also offered his opinion as to BNSF's value: $7,186,000,000.

[¶8] Pursuant to statute, Blinsmon considered three approaches in his assessment process: the income approach, the cost approach, and the market approach.

[¶9] Under the income approach, a single year's normal net railway operating income (NROI) is capitalized by the cost of capital (capitalization rate). First, the cost of capital is calculated by using a comparison of equity to debt. Initially, Blinsmon found the equity component to be 62% and the debt component to be 38%, which reflects a capitalization rate of 11.37%. On April 21, 1997, Blinsmon altered the equity to debt comparison to 70/30, making the final capitalization rate 11.94%. Second, BNSF's normal income is determined. Traditionally, DOR uses five years of net railway operating income (NROI) to determine this. However, BNSF was a new entity and the NROI information for the previous five years was not available. Therefore, Blinsmon used the NROI of BNRR and ATSF, the predecessor railroads to BNSF. Special charges, accruals made in advance of the expenditure of money, were incurred by both BNRR and ATSF in those five years. These special charges, which lowered the net income, made it difficult to forecast the normal income of BNSF. BNSF provided "normalized" income information for both BNRR and ATSF; the special charges were added back in and the actual cash expenditures were deducted in the year the expenditures were actually made.

Free access — add to your briefcase to read the full text and ask questions with AI

Related

Fall River County v. South Dakota Department of Revenue
1996 SD 106 (South Dakota Supreme Court, 1996)
Matter of Estate of Jetter
1997 SD 125 (South Dakota Supreme Court, 1997)
Cleveland v. Tinaglia
1998 SD 91 (South Dakota Supreme Court, 1998)
Fall River County v. South Dakota Department of Revenue
1999 SD 139 (South Dakota Supreme Court, 1999)
Mash v. Cutler
488 N.W.2d 642 (South Dakota Supreme Court, 1992)
Hutchinson County v. Fischer
393 N.W.2d 778 (South Dakota Supreme Court, 1986)
In Re Estate of Hobelsberger
181 N.W.2d 455 (South Dakota Supreme Court, 1970)
Chicago and North Western Railway Co. v. Gillis
148 N.W.2d 581 (South Dakota Supreme Court, 1967)
Kindsfater v. Butte County
458 N.W.2d 347 (South Dakota Supreme Court, 1990)

Cite This Page — Counsel Stack

Bluebook (online)
1999 SD 139, Counsel Stack Legal Research, https://law.counselstack.com/opinion/fall-river-co-v-state-dept-of-revenue-sd-1999.