Ford Motor Co. v. State Tax Commission

234 N.W.2d 711, 63 Mich. App. 577, 1975 Mich. App. LEXIS 1202
CourtMichigan Court of Appeals
DecidedAugust 25, 1975
DocketDocket 19600
StatusPublished
Cited by8 cases

This text of 234 N.W.2d 711 (Ford Motor Co. v. State Tax Commission) is published on Counsel Stack Legal Research, covering Michigan Court of Appeals primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Ford Motor Co. v. State Tax Commission, 234 N.W.2d 711, 63 Mich. App. 577, 1975 Mich. App. LEXIS 1202 (Mich. Ct. App. 1975).

Opinion

V. J. Brennan, P. J.

Plaintiff, Ford Motor Company, appeals, upon leave granted, from a decision of the Michigan State Tax Commission and challenges the method used to assess the company’s inventories in the City of Highland Park for the 1971 personal property assessment. The case is before us on the stipulated set of facts reproduced, in relevant part, below:

"1. Throughout 1970, taxable personal property owned by Ford Motor Company (hereinafter, 'Ford’), including inventories of goods, materials, merchandise, and supplies used in trade, commerce, and manufacturing, was situated in the City of Highland Park (hereinafter, 'City’).
"2. On February 15, 1971, Ford timely filed a sworn personal property statement with the City listing all of its personal property situated in the City on December 31, 1970 * * * .
"3. On Item 6, page 1 of its sworn personal property *580 statement filed with the City, Ford showed an amount of $24,737,962, which was the true cash value of its inventories in the City on tax day, December 31, 1970.
"4. Ford did not list on schedule A1 of the sworn personal property statement filed with the City or elsewhere therein, the value of its inventories in the City for each of the preceding 12 months ending December 31, 1970.
"5. Schedule A1 is captioned as follows:
"Average Inventory Computation for calendar year 1970. If you intend to file an average inventory for Item 6, page 1 [inventory], complete the following schedule.
"6. Ford did complete schedule A1 of personal property statements submitted for 1971 to assessors of some of the other Michigan assessing units in which Ford had taxable personal property.
"7. On the basis of the personal property statement filed by Ford the City Assessor determined that the true cash value as of tax day, December 31, 1970, of Ford’s taxable personal property, except inventories, situated in the City was $8,883,277.
"8. The City’s Board of Review rejected Ford’s election to have its inventories in the City on tax day valued by reference to their true cash value as of December 31, 1970, and determined that the true cash value of Ford’s taxable property in the City on December 31, 1970, was the true cash value on tax day, December 31, 1970, of Ford’s taxable property exclusive of inventories plus the average monthly value (for the preceding 12 months ending December 31, 1970) of Ford’s inventories in the City.
"9. To effect the determination, the City’s Board of Review
"a. estimated the average monthly value of Ford’s inventories;
"b. added this estimated average monthly inventory value to the true cash value, on tax day December 31, 1970, of Ford’s other taxable personal property in the City to arrive at a total which the Board of Review took to be the true cash value of the taxable personal property of Ford having a taxable situs in the City on December 31, 1970; and
*581 "c. placed an assessment of $19,524,650 on all of the taxable personal property of Ford Motor Company in the City as of December 31, 1970, which assessment represented 50 percent of the amount which the assessor had determined was the true cash value of the taxable personal property of Ford.
"10. On March 9, 1971, Ford appealed its assessment to the Board of Review of the City.
"11. On March 15, 1971, the Board of Review notified Ford that it would make no adjustment in the assessment.
"12. On April 30, 1971, because the City’s Board of Review valued Ford’s inventories on an average monthly basis, Ford appealed the personal property assessment placed on Ford’s personal property by the City to the State Tax Commission.
"13. At the April 1971, meeting of the Board of Commissioners for Wayne County within which the City is situated, it was determined that $75,450,500, the aggregate of all the assessments of taxable personal property within the City as determined by the City, did in fact represent 50 percent of the true cash value of all of the taxable personal property therein situated.
"14. At the May 1971, meeting of the State Tax Commission, sitting as the State Board of Equalization, it was determined that $3,056,624,621, the aggregate of all of the values of taxable personal property in the assessing units in Wayne County, as equalized by the Board of Commissioners for Wayne County, did in fact represent 50 percent of the true cash value of all of the taxable personal property in that county.
"15. Apportionment of this state equalized value of Wayne County to the City and thereafter among the individual personal property assessments as made by the City resulted in a state equalized value of $19,524,-650 for Ford’s taxable personal property situated in the City. It was against this value that the City levied all 1971 property taxes on Ford’s personal property.
"16. As a consequence of the assessment appeal submitted by Ford to the State Tax Commission, representatives of the Commission made an audit and determined that the average monthly value of Ford’s inven *582 tories situated in the City during the 12 month period ending December 31, 1970, was $29,648,553.
"17. There is no dispute between Ford and the City as to the true cash value of Ford’s taxable personal property in the City on December 31, 1970, other than the true cash value of Ford’s inventories. Both Ford and the City agree that, excluding inventories, the value of Ford’s taxable personal property was $8,883,277, as determined by the City’s assessor.
"18. There is no dispute between Ford and the City regarding the amount to be used if it is determined that, as a matter of law, Ford’s election to have its inventories in the City assessed by reference to their true cash value on December 31, 1970 should be honored. In such event, both Ford and the City agree that: "a. the true cash value of Ford’s inventories was $24,737,962; and
"b. the true cash value of all Ford’s taxable personal property in the City on December 31, 1970 was $33,621,-239 ($8,883,277 plus $24,737,962).
"19. There is no dispute between Ford and the City regarding the amount to be used if it is determined that, as a matter of law, Ford’s election to have its inventories in the City assessed by reference to their true cash value on December 31, 1970, should not be honored and Ford’s inventories should be assessed by reference to their average monthly value during the 12 month period ending December 31, 1970. In such event, both Ford and the City agree that:
"a. the true cash value of Ford’s inventories is $29,648,553; and
"b.

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Bluebook (online)
234 N.W.2d 711, 63 Mich. App. 577, 1975 Mich. App. LEXIS 1202, Counsel Stack Legal Research, https://law.counselstack.com/opinion/ford-motor-co-v-state-tax-commission-michctapp-1975.