ICAN Enterprise, Inc., Dba ICAN Aviation Michael Zucker, President And Naomi Zucker, Vice President v. Williamson County Appraisal District and Williamson County Appraisal Review Board

CourtCourt of Appeals of Texas
DecidedApril 17, 2009
Docket03-06-00594-CV
StatusPublished

This text of ICAN Enterprise, Inc., Dba ICAN Aviation Michael Zucker, President And Naomi Zucker, Vice President v. Williamson County Appraisal District and Williamson County Appraisal Review Board (ICAN Enterprise, Inc., Dba ICAN Aviation Michael Zucker, President And Naomi Zucker, Vice President v. Williamson County Appraisal District and Williamson County Appraisal Review Board) is published on Counsel Stack Legal Research, covering Court of Appeals of Texas primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

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ICAN Enterprise, Inc., Dba ICAN Aviation Michael Zucker, President And Naomi Zucker, Vice President v. Williamson County Appraisal District and Williamson County Appraisal Review Board, (Tex. Ct. App. 2009).

Opinion

TEXAS COURT OF APPEALS, THIRD DISTRICT, AT AUSTIN




NO. 03-06-00594-CV

ICAN Enterprise, Inc., dba ICAN Aviation; Michael Zucker, President; and Naomi Zucker, Vice President, Appellants



v.



Williamson County Appraisal District and Williamson County Appraisal Review Board, Appellees



FROM THE DISTRICT COURT OF WILLIAMSON COUNTY, 368TH JUDICIAL DISTRICT

NO. 03-972-C368, HONORABLE BURT CARNES, JUDGE PRESIDING

M E M O R A N D U M O P I N I O N



ICAN Enterprise dba ICAN Aviation and two of the corporation's officers, Michael Zucker and Naomi Zucker, (cumulatively "ICAN") objected to the Williamson County Appraisal District's ("Appraisal District") decision to impose a property tax on ICAN. See Tex. Tax Code Ann. § 6.01 (West 2008) (establishing appraisal districts for taxing purposes). The Williamson County Appraisal Review Board ("Review Board") upheld the Appraisal District's determination. See id. § 41.01 (West 2008) (explaining duty of appraisal review boards). ICAN sought review in the district court, and the district court upheld the Review Board's determination. ICAN appeals the district court's judgment, and we will affirm the judgment of the district court.



BACKGROUND

This dispute arose from the decision by the Appraisal District to impose a property tax on ICAN. From 2002 to 2004, ICAN leased aircraft hangars from the City of Georgetown that were located on the Georgetown Municipal Airport for the purpose of storing several planes.

Section 11.11 of the tax code specifies that "property owned by this state or a political subdivision of this state is exempt from taxation if the property is used for public purposes," id. § 11.11 (West 2008); see Tex. Const. art. XI, § 9, and therefore may not be listed on local appraisal rolls. On the other hand, leaseholds in exempt property generally may be taxed and listed in appraisal rolls. Tex. Tax Code Ann. § 25.07(a) (West 2008). (1) However, with certain exceptions not applicable to this case, leaseholds in exempt property may not be taxed or listed in appraisal rolls if "the property is part of a public transportation facility owned by an incorporated city or town and . . . is . . . a building used primarily for . . . aircraft equipment storage." Id. § 25.07(b)(3)(A) (West Supp. 2008).

In 2002, the Appraisal District began including ICAN's hangar leases in its tax appraisal records, meaning that ICAN was responsible for any taxes imposed. (2) Essentially, the Appraisal District concluded that ICAN's leases do not qualify for the "aircraft equipment storage" exemption. See id. § 25.07(b)(3)(A). ICAN objected to that decision and appealed to the Review Board. After hearing ICAN's arguments, the Review Board agreed with the Appraisal District's decision. ICAN paid the taxes under protest and appealed the Review Board's determination to the district court. The district court upheld the Review Board's determination, and ICAN then appealed to this Court.



STANDARD OF REVIEW

The issues raised in this appeal involve statutory construction, which is a question of law that is reviewed de novo. See Bragg v. Edwards Aquifer Auth., 71 S.W.3d 729, 734 (Tex. 2002); USA Waste Servs. of Houston, Inc. v. Strayhorn, 150 S.W.3d 491, 494 (Tex. App.--Austin 2004, pet. denied). In construing a statute, we must ascertain the legislature's intent in enacting the statute. Fleming Foods v. Rylander, 6 S.W.3d 278, 284 (Tex. 1999). In making this determination, courts should look to the plain meaning of the words used in the statute. See Fireman's Fund County Mut. Ins. Co. v. Hidi, 13 S.W.3d 767, 768-69 (Tex. 2000). We presume that every word was deliberately chosen and that excluded words were left out on purpose. USA Waste Servs., 150 S.W.3d at 494. In determining legislative intent, we must read the language contained in the statute in context and in light of its common meaning. Tex. Gov't Code Ann. § 311.011(a) (West 2005). Further, we must read the statutory provision in light of the entire statute. Helena Chem. Co. v. Wilkins, 47 S.W.3d 486, 493 (Tex. 2001).



DISCUSSION

ICAN raises three related issues, which we will address together. ICAN argues that it is not subject to local taxation because its interest in the hangars is exempt from taxation under subsection 25.07(b)(3)(A). As described previously, that provision provides, in relevant part, that "a leasehold . . . interest in exempt property may not be listed" on local tax records if "the property is part of a public transportation facility owned by an incorporated city or town and . . . is . . . a building used primarily for . . . aircraft equipment storage." Tex. Tax Code Ann. § 25.07(b)(3)(A). (3) In this case, the parties stipulated that the City of Georgetown owns the hangars and that the City of Georgetown's interest in the hangars is tax exempt. As support for its assertion that its interest in the hangars is exempt from taxation, ICAN relies on various dictionary definitions for the terms "hangar," "aircraft," "device," "vehicle," and "equipment" and on several federal aviation regulations.

The definitions for "aircraft" relied upon by ICAN state that an "aircraft" is "a vehicle (as an airplane or balloon) for traveling through the air," see Merriam Webster Online Dictionary available at www.merriam-webster.com (emphasis added), and that an "aircraft" is "a device that is used or intended to be used for flight in the air," see Federal Aviation Regulations, 14 C.F.R. § 1.1 (2008) (emphasis added). (4) ICAN also refers to a definition of "device" as meaning "a piece of equipment . . . designed to serve a special purpose or perform a special function" and to a definition of "vehicle" as "a piece of mechanized equipment." See Merriam Webster Online Dictionary (emphases added).

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ICAN Enterprise, Inc., Dba ICAN Aviation Michael Zucker, President And Naomi Zucker, Vice President v. Williamson County Appraisal District and Williamson County Appraisal Review Board, Counsel Stack Legal Research, https://law.counselstack.com/opinion/ican-enterprise-inc-dba-ican-aviation-michael-zucker-president-and-texapp-2009.