Helms v. Department of Revenue

CourtOregon Tax Court
DecidedAugust 10, 2012
DocketTC-MD 110930N
StatusUnpublished

This text of Helms v. Department of Revenue (Helms v. Department of Revenue) is published on Counsel Stack Legal Research, covering Oregon Tax Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Helms v. Department of Revenue, (Or. Super. Ct. 2012).

Opinion

IN THE OREGON TAX COURT MAGISTRATE DIVISION Income Tax

MICHAEL G. HELMS, ) ) Plaintiff, ) TC-MD 110930N ) v. ) ) DEPARTMENT OF REVENUE, ) State of Oregon, ) ) Defendant. ) DECISION

Plaintiff appealed Defendant‟s Notice of Deficiency Assessment, dated August 2, 2011,

for the 2009 tax year. A trial was held in the Tax Courtroom on May 22, 2012. James C. Griggs

and Amy E. Geerhart, Attorneys at Law, appeared on behalf of Plaintiff. Plaintiff testified on his

own behalf. Glen Crouch (Crouch), certified appraiser, MAI, and Earl Doman (Doman),

certified public accountant, testified on behalf of Plaintiff. Kevin Cole (Cole) appeared on behalf

of Defendant, but did not testify. The parties filed a document entitled Stipulation of the Parties

(Stip Facts) on May 17, 2012. Plaintiff‟s Exhibits 1 through 29 were offered and admitted

without objection.1 Defendant‟s exhibits labeled A through G were timely exchanged but were

not offered into evidence.

I. STATEMENT OF FACTS

At issue in this appeal is Plaintiff‟s gain on the sale of four parcels of real estate by

the Helms Bros Partnership (Helms Bros), for $6 million on September 1, 2009. Plaintiff is a

50 percent partner in Helms Bros. The four parcels of real estate are identified by the parties as

the Home property; the Bentz or Home Bottom property; the Land Conservation property; and

the Miller property. (Stip Facts at 1.) The parcels will be referred to collectively as Helms

1 Plaintiff‟s Exhibit 16 is a corrected exhibit.

DECISION TC-MD 110930N 1 Bros property. Prior to the September 1, 2009, sale, “[t]he four parcels of real estate [were]

owned by Helms Bros Partnership and rented for use in the farming business of Green Delta

Farms, LLC[.]” (Id.)

A. The Helms entities and activities

Helms Bros is a partnership between Plaintiff, Steven E. Helms, and Steven C. Helms.

(Stip Facts at 1; Ptf‟s Ex 1.) Plaintiff testified that Steven E. Helms is his brother and they

formed Helms Bros as a 50-50 partnership in 1965. He testified that they registered Helms Bros

in 1992. (Ptf‟s Ex 4 at 1.) Plaintiff testified that Steven E. Helms split his share with his son,

Steven C. Helms. In of 2009, the year of sale, Steven E. Helms became a 40 percent partner and

Steven C. Helms a 10 percent partner; Plaintiff remained a 50 percent partner.

Plaintiff testified that he, Steven E. Helms, and Steven C. Helms formed Green Delta

Farms, LLC (Green Delta) in 2004 to conduct farming activities and to shield Helms Bros from

any liability associated with Green Delta‟s farming activities. (Ptf‟s Exs 1 at 1, 5 at 1.) Green

Delta is owned by MGJR, Inc. (50 percent); SEH, Inc. (40 percent); and SCH, Inc. (10 percent).

(Id.) Plaintiff testified that MGJR, Inc. is 100 percent owned by Plaintiff; SEH, Inc. and SCH,

Inc. are owned by his brother and nephew, respectively. (See Stip Facts at 1; Ptf‟s Exs 1 at 1, 2.)

Plaintiff testified that he, Steven E. Helms, and Steven C. Helms formed Helms Farms,

Inc. (“Helms Farms”) in 1987 to serve as a “paymaster” for the farm employees and to shield

Helms Bros and, subsequently, Green Delta, from liability for employment claims. (See Ptf‟s

Ex 3.) Plaintiff testified that, prior to the sale of the Helms Bros property on September 1, 2009,

the arrangement was as follows: Helms Bros owned the Helms Bros property and leased it to

Green Delta; Green Delta farmed the Helms Bros property, growing grass and turf seed as well

as blueberries; and Helms Farms hired and paid the farm employees. He testified that Green

DECISION TC-MD 110930N 2 Delta would deposit funds weekly for Helms Farms to distribute to employees; Helms Farms did

not charge a fee to Green Delta for its service as “paymaster.”

Plaintiff and Doman both testified that each “Helms entity” is a separate legal entity

with separate books, records, bank accounts, and tax returns. (See, e.g., Ptf‟s Exs 16 - 20.)

Plaintiff testified that Helms Bros‟ only assets were the Helms Bros property and some farm

equipment; its only business activity was leasing the four parcels for farming. Plaintiff testified

that, after the September 1, 2009, sale of the Helms Bros property, Helms Bros did, essentially,

“nothing[;]” it did not engage in any farming or business activities. He testified that Helms Bros

still owns some old farm equipment, all of which was acquired before 2004, but it has not been

able to sell any of that equipment due to its age. Plaintiff testified that all farm equipment

purchased after 2004 was purchased by Green Delta. He testified that Helms Farms has not

employed anyone since September 1, 2009. “Neither [Plaintiff], Steve E. Helms, Steve C.

Helms, nor any Helms related entity has operated any form of farming business from the Helms

Bros‟ real estate at any time after the Sale Date.” (Stip Facts at 2; see also Ptf‟s Ex 6.)

Plaintiff testified that, since September 1, 2009, Green Delta has started a business that

buys straw from farmers and then resells the straw to a business that “compresses” it. He

testified that he does not participate in Green Delta‟s straw business; rather, Steven C. Helms

primarily runs that business. Plaintiff testified that he does not consider the purchase and resale

of straw to be “farming.” However, Plaintiff concedes that the activity is “farming” for purposes

of Green Delta‟s Schedule F.

Green Delta reported gross income of $2,551,765 on its 2009 Schedule F and gross

income of 1,307,434 on its 2010 Schedule F. (Ptf‟s Exs 17 at 6; 18 at 6.) Doman testified that

the period of Green Delta‟s 2009 return was June 1, 2009, to May 31, 2010, and the period of

DECISION TC-MD 110930N 3 Green Delta‟s 2010 return was June 1, 2010, to May 31, 2011. He testified that Green Delta‟s

2009 return reported income, in part, from farming activities on the Helms Bros property as well

as $416,416 in income from the sale of equipment. (See Ptf‟s Ex 26 at 1.) Doman testified that

Green Delta‟s 2009 farm income included income from the sale of “bear grass” and “annual rye

grass,” both of which may be sold years after they are harvested. (See id.) Plaintiff testified that

grass seed buyers pay grass seed farmers when the buyers are able to sell the seed. He testified

that, as of September 2009, payments for seed sold in 2007, 2008, and 2009 were outstanding.

Plaintiff testified that, after September 2009, Green Delta did not produce any new seed.

B. Sale of Helms Bros property on September 1, 2009

Plaintiff testified that Riverbend Organic Farms (Riverbend), which bears no relationship

to Plaintiff or any of the Helms entities, purchased the Helms Bros property on September 1,

2009, for $6 million, total. (See Ptf‟s Exs 6, 7.) Plaintiff testified that Helms Bros decided to

sell the Helms Bros property because it had accumulated significant debt to “Townsend,” its

processor, and was going to lose financing. He testified that Helms Bros was left with no other

option than to “liquidate” the Helms Bros property. Plaintiff testified that the sale to Riverbend

included blueberry farming equipment owned by Green Delta; the total value of that equipment

was $161,000. (Ptf‟s Ex 8 at 3; Ex 7 at 1 (pay off to Green Delta for personal property).)

The parties stipulated to the original cost of each of the four parcels: $679,428.60 for

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